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Dr. Boyd E. Haley Responds
to Robert M. Anderton, DDS, President of the ADA
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23 May 2001
The Honorable Dan Burton
Chairman
Committee on Government Reform
U.S. House of Representatives
Washington, D.C.
RE: May 11th letter by Robert M. Anderton,
D.D.S., J.D., LL.M. and President of the ADA,
challenging my statement to the Committee on Government
Reform looking at the topic, Autism-Why the Increased
Rates? A One Year Update.
Dear Mr. Chairman:
At the April 25th meeting of your
committee I gave testimony that the President of the
American Dental Association (ADA) takes exception to in
a letter sent to you dated 11 May 2001. Quoting from
that letter the testimony the ADA dislikes is "that
elementary mercury from dental amalgam could work
synergistically with other ethy-mercury sources and have
a cumulative toxic effect on the body. Dr. Haley
postulated that this could be a potential cause of
autism and Alzheimer’s disease." I stand by
my statement as a sensible concern based on published
scientific research regarding synergist toxicities
caused by two very toxic agents, mercury and the organic
mercury compound thimerosal. This concern is elevated
since mercury exposure from amalgams to a pregnant
mother concentrates in the fetus and a single vaccine
given to a six-pound newborn is the equivalent of giving
a 180-pound adult 30 vaccinations on the same day.
Include in this the toxic effects of high levels of
aluminum and formaldehyde contained in some vaccines,
and the synergist toxicity could be increased to unknown
levels. Further, it is very well known that infants do
not produce significant levels of bile or have adult
renal capacity for several months after birth. Bilary
transport is the major biochemical route by which
mercury is removed from the body, and infants cannot do
this very well. They also do not possess the renal
(kidney) capacity to remove aluminum. Additionally,
mercury is a well-known inhibitor of kidney function.
Common sense indicates that the concern I expressed
should be taken seriously since we do not know how
combined toxicities effect humans, especially in
utero. Consider the current epidemic death on birth
of over 500 foals from apparently healthy mares around
Lexington, KY. These deaths were identified as being due
to a low level toxicity delivered by caterpillars eating
poison plants and later, on migration, depositing their
waste products on grass being eaten by the mares. The
point being it is the infant in utero that
suffered most on exposure to low level, toxins, not the
mother. Combined mercury toxicities can be devastating
as I reference below and in the many references
available on the www.altcorp.com website. What is needed
is research by non-biased scientists to clarify this,
something our FDA and NIDCR have refused to do. As the
American public find out what has happened regarding
this issue, they will be quite angry. This is a
biomedical science issue that should have been resolved
a long time ago by the responsible federal agencies.
Below I present detailed and referenced information
supporting my case and respond to various statements
made by the ADA President that I believe to be
misleading and sometimes flagrantly wrong. The ADA seems
to think it has the right to select which research it
believes and to trash that research that says it is
wrong, even though the latter represents the bulk of
published research. To address the issues raised by the
ADA President in his letter I will go in sequential
order of the comments made in the letter placing the ADA
comments in italics and providing scientific references
for my conclusions.
"There is no scientifically valid evidence
linking either autism or Alzheimer’s disease with
dental amalgam". First, mercury is a
well-known, potent neurotoxicant, and common sense would
lead to the conclusion that severe neurotoxins would
exacerbate all neurological disorders, including
Parkinson’s, ALS, MS, autism and AD. Several research
papers in refereed, high quality journals and scientific
publications have shown that mercury inhibits the same
enzymes in normal brain tissues as are inhibited in AD
brain samples (1a-c, 2, 3). AD is pathologically
confirmed post-mortem by the appearance of
neuro-fibillary tangles (NFTs) and amyloid plaques in
brain tissue. Published research, within the past year,
has shown that exposure of neurons in culture to
sub-lethal doses of mercury (much less than is observed
in human brain tissue) causes the formation of NFTs (4),
the increased secretion of amyloid protein and the
hyper-phosphorylation of a protein called Tau (5). All
three of these mercury-induced aberrancies are regularly
identified as the major diagnostic markers for AD. In
the manuscript published in the J. of Neurochemistry (5)
the authors state "These results indicate that
mercury may play a role in the patho-physiological
mechanisms of AD." In most of these experiments,
mercury and only mercury among the several toxic heavy
metals tested, caused the AD related responses reported.
Many medically trained individuals would agree that if
something causes the appearance of the pathological
hallmarks confirming the disease then it likely causes
the disease. I at least have limited my claims to
exacerbation of these diseases to err on the side of
caution.
Further, consider this about AD. A study of 500 sets
of identical twins from World War II era lead to the
conclusion that sporadic AD which represents 90% of the
cases was not a directly inherited disease. In many
cases one twin would get AD and the other would not.
Genetic susceptibility is involved, but a toxic exposure
is required (e.g., if you are genetically susceptible to
being an alcoholic you still need to be exposed to
alcohol to become one). The work by Rose’s group at
Johns Hopkins University implicates APO-E genotype as a
"risk" factor with APO-E2 being protective and
APO-E4 being a major risk factor. APO-E2 has the ability
to protect the brain from mercury by having two
additional thiol-groups to bind mercury appearing in the
cerebrospinal fluid whereas APO-E4 does not have this
additional capability (1). This may explain the proven
genetic susceptibility to AD of the APO-E4 carriers.
NIH has spent hundreds of millions of dollars to find
a causal factor for AD. Yet, no virus, yeast or bacteria
has been identified so the cause remains unknown to
general science. The rate of AD per 1,000 population is
nearly the same in California, Michigan, Maine, North
Carolina, Florida, Texas, etc. It is not significantly
different for rural versus urban individuals, or factory
workers versus those with outside jobs. So the primary
toxicant that may be involved is most likely not
environmental. Therefore, it must be a very personal
toxicant, like what you put in your mouth. Since we
place grams of a neurotoxic metal, mercury, in our
mouths in the form of dental amalgam this makes it a
good suspect for the exacerbation of AD---not that all
would be affected, just those that are genetically
susceptible, or those who become ill enough to fall prey
to the toxicity, or those that are also exposed to
another synergistic toxin (see below).
The one fact that ties mercury into a major suspect
for AD is the fact that most of the proteins/enzymes
that are inhibited in AD brain are thiol-sensitive
enzymes. Mercury is one of the most potent chemical
inhibitors of thiol-sensitive enzymes and mercury vapor
easily penetrates into the central nervous system (2).
Mercury is not the only toxicant to inhibit
thiol-sensitive enzymes. Thimerosal and lead will do
this also as well as reactive oxygen compounds created
in oxidative stress and many other industrial compounds.
However, mercury has been reported to be significantly
elevated in AD brain (14a,b, 15). Mercury is in many
mouths being emitted from dental amalgam and absolutely
would exacerbate the clinical condition identified as
AD. Therefore, mercury should be considered as a causal
contributor since mercury can produce the two
pathological hallmarks of the disease and inhibits the
same thiol-sensitive enzymes that are dramatically
inhibited in AD brain.
It documented by a 1991 World Health Organization
report that dental amalgams constitute the major human
exposure to mercury. Grams of mercury are in the mouths
of individuals with several amalgam fillings. Further,
the level of blood and urine mercury positively
correlates with the number of amalgam fillings. This was
confirmed by a recently published NIH funded study (6).
Therefore, I fail to see the ADA’s viewpoint that
there is no scientifically valid evidence linking
mercury from amalgams to exacerbating AD, especially
since mercury produces the diagnostic hallmarks of AD
(4,5). The ADA hides behind the fact that there has not
been an epidemiological study to attempt to correlate
mercury exposure and AD. However, absence of proof is
not proof of absence. This also begs the question why
the ADA, the FDA and the National Institutes of Dental
Craniofacial Research (NIDCR) have not pushed for such a
study? These agencies know this would be immensely
expensive and only the U.S. government could afford to
support any reliable long-term study. Yet, these same
responsible agencies have failed to confirm as safe the
placing into the mouth of Americans grams of the most
toxic heavy metal Americans are exposed to. The dental
branch of the FDA has steadfastly refused to investigate
the toxic potential of dental amalgam.
Look at the references in the ADA letter! Even they
must quote Scandinavian literature to support their
contentions of safety, and even then they have to
reference papers on fertility instead of neurotoxicity!
Where is the ADA, FDA and NIDCR supported U.S. research
in this area? Go to the NIH web-sites and look for
research on the safety of mercury from amalgams, or try
to find an NIH study concerning possible mercury
involvement in any common neurological diseases. NIH
does support research on methyl-mercury, as we seem to
like beating up on the fishing industry whilst leaving
the dental industry alone. However, according to the NIH
study about 90% of the mercury in our bodies is
elemental mercury, not methyl-mercury, showing the
exposure is more likely from dental amalgams rather than
fish (6). Support at NIH has been very sparse for
investigating the relationship of elemental mercury
exposure to neurological diseases.
"And there is no scientifically valid
evidence demonstrating in vivo transformation of
inorganic mercury into organo mercury species in
individuals occupationally exposed to amalgam mercury
vapor". There was a paper published entitled
"Methylation of Mercury from Dental Amalgam and
Mercuric Chloride by Oral Streptococci in vitro"
(19). This strongly indicates that "organo mercury
species" are indeed capable of being made in the
human body and may explain the appearance of
methyl-mercury in the blood and urine of individuals who
don’t eat seafood.
Further, periodontal disease is considered one of the
major risk factors for stroke, heart and cardiovascular
disease and late onset, insulin independent diabetes.
Many studies of the toxicants produced in periodontal
disease have identified hydrogen sulfide (H2S)
and methane-thiol (CH3SH) as major toxic
products of infective anerobic bacteria in the mouth
metabolizing the amino acids cysteine and methionine,
respectively. These volatile thiol-compounds are what
cause bad-breath! Methane-thiol (CH3SH) would
react immediately and spontaneously in the mouth with
amalgam generated mercury cation to produce the
following two compounds, CH3S-HgCl and CH3S-Hg-SCH3,
which are organo-mercurial compounds (check this
out with any competent chemist). They are also very
similar in structure to methyl-mercury (CH3-HgCl)
and dimethyl-mercury (CH3-Hg-CH3),
the latter which caused the highly publicized death of a
University of Dartmouth chemistry professor 10 months
after she spilled two drops on her gloved hand. We have
synthesized CH3S-HgCl and CH3-Hg-CH3
in my laboratory and tested their toxicity in comparison
to Hg2+. As expected, they were both more
toxic than Hg2+ and this data is available on
the www.altcorp.com web-site. Therefore, the ADA
President is badly misinformed on this issue.
Additionally, I am amazed that the researchers at the
ADA and NIDCR did not previously report on this obvious
chemistry as I would imagine this is the kind of topic
they should be addressing.
"Based on currently available scientific
evidence, the ADA believes that dental amalgam is a
safe, affordable and durable material for all but a
handful of individuals who are allergic to one of its
components. It contains a mixture of metals such as
silver, copper and tin, in addition to mercury, which
chemically binds these components into a hard, stable
and safe substance." This is a totally wrong
statement unless you underline the "ADA
believes" and define how big is a "handful
of individuals". Sensible people want
"believes" replaced with "knows" and
a "handful" replaced with a "hard
number". Amalgams emit dangerous levels of mercury
and the ADA absolutely refuses to accept this fact or
even to study the possibility. Otherwise, the ADA
administrators seem to be unable to separate fact from
fiction. Consider, if they wanted to destroy my argument
on amalgam toxicity they would reference several solid,
refereed publication showing that mercury is not emitted
from dental amalgams---but they cannot do this with even
one article. They always state the "estimate"
is that a very, very, very small amount. Competent,
well-informed researchers don’t use the evasive
language used in the ADA President’s letter. They
would state the amount is so many micrograms mercury
released per centimeter squared amalgam surface area and
a "handful of individuals" would be a
percentage of our population! Lets look at the published
literature.
First, careful evaluation of the amount of mercury
emitted from a commonly used dental amalgam in a test
tube with 10 ml of water was presented in an article
entitled "Long-term Dissolution of Mercury from a
Non-Mercury-Releasing Amalgam". This study showed
that "the over-all mean release of mercury was 43.5
± 3.2 micrograms per cm2/day,
and the amount remained fairly constant during the
duration of the experiments (2 years)" (7). This
was without pressure, heat or galvanism as would have
occurred if the amalgams were in a human mouth. Further,
research where amalgams containing radioactive mercury
were placed in sheep and monkeys, showed the
radioactivity collecting in all body tissues and
especially high in the jaw and facial bones. (8,9).
Another publication, from a major U.S. School of
Dentistry, stated that solutions in which amalgams had
been soaked were "severely cytotoxic initially when
Zn release was highest" (13). Zn is a needed
element for body health and is found in very low
percentages in dental amalgams when compared to mercury
and why mercury was not mentioned in the abstract of
this publication baffles me. Why would the statement be
true? Because Zn2+ is a synergist that
enhances mercury toxicity! However, does this sound like
amalgams are a safe, stable material? We have repeated
similar amalgam soaking experiments in my laboratory and
the results can be seen at www.altcorp.com. Cadmium
(from smoking), lead, zinc and other heavy metals
enhanced mercury toxicity as expected (this research is
currently being prepared for publication).
The ADA claim that a zinc oxide layer is formed on
the amalgams that decreases mercury release is true, if
you don’t use the teeth. The zinc oxide layer would be
easily removed by slight abrasion such as chewing food
or brushing the teeth. Further, my laboratory has
confirmed that solutions in which amalgams have been
soaked can cause the inhibition of brain proteins that
are inhibited by adding mercury chloride, and these are
the same enzymes inhibited in AD brain samples.
Further, mercury emitting from a dental amalgam can
be easily detected using the same mercury vapor analysis
instrument used by OSHA and the EPA to monitor mercury
levels. Anyone who does not believe mercury is emitted
from amalgams should consider doing the following. Have
your local dentist make 10 amalgams using the same
material he/she places in your mouth. Take these 10
amalgams to your nearest research university’s
department of chemistry or toxicology department and
have them determine how much mercury is being emitted.
For example, have them calculate how long it would take
a single spill of hardened amalgam to make a gallon of
water to toxic to pass EPA standards as drinking water.
You will then have an answer from an unbiased, solid
group of scientists who are trained to do such
determinations. Also, remember the level of mercury they
measure would not include the increase that would occur
with amalgams in the mouth where chewing, grinding your
teeth, drinking hot liquids and galvanism greatly
increase the release of mercury. Since this approach can
be easily done by anyone don’t you think the ADA, FDA
and other amalgam supporters would have this published
by now if the level of mercury released was below the
danger level?
Here is their attempt. According to an ADA spokesman
he has "estimated" that only 0.08 micrograms
of mercury per amalgam per day is taken into the human
body. Applying simple math to this "estimate"
of 0.08 micrograms/ day one would divide this amount by
8,640 (24 hours/day X 60 minutes/hour X 6 ten second
intervals/minute) to determine the amount of mercury in
micrograms available for a ten second mercury vapor
analysis. Consider that somewhere between one-half to
five-sixths of the mercury released would be into the
tooth (that area of the amalgam that exists below the
visibly exposed amalgam surface) and not into the oral
air. In addition, some mercury in the oral air would be
rapidly absorbed into the saliva and oral mucosa
(mercury loves hydrophobic cell membranes) and also not
be measured by the mercury analyzer. Further, as the
mercury analyzer pulls mercury containing oral air into
the analysis chamber, mercury free ambient air rushes
into the oral cavity decreasing the mercury
concentration. Taking all of this into account you can
calculate that most mercury analyzers could not detect
this "estimated" 0.08 micrograms/day level of
mercury even if you had several amalgams. However, the
fact is that it is quite easy to detect mercury emitting
from one amalgam using these analyzers. Therefore, the
"estimate" by this ADA spokesman is way to
low. Also, if you gently rub the amalgam with a
tooth-brush the amount of mercury emitted goes up
dramatically. This is a test anyone can do and
demonstrate to any group. The ADA spokesmen state that
the mercury vapor analyzer is not accurate at
determining oral mercury levels and they are quite
correct. However, using this instrument would greatly
underestimate the amount of mercury exiting the amalgam.
The very fact that the mercury analyzer detects high
levels of oral mercury strongly indicates the emitted
amount of mercury is to high to be acceptable.
Mercury release from dental amalgams is also the
reason OSHA has used this analyzer to make the dentists
place unused amalgam in a sealed container under liquid
glycerin. This is done so that the mercury vapors from
the amalgams will not contaminate the dental office
making it an unsafe place to work. This is also the
reason the EPA insists that removed amalgam filling and
extracted teeth containing amalgam material be picked up
and disposed of as toxic waste. Apparently, the only
safe place for amalgams is in the human mouth if you
believe what the ADA believes.
"Amalgams have been used for 150 years and,
during that time, has established an extensively
reviewed record of safety and effectiveness."
First, what other aspect of industry or medicine is
still using the same basic manufactured material that
they used 150 years ago? One has to ask the question as
to what has hindered the progress of development of
better and safer dental materials? Also, consider that
in the early 1900s the average life expectancy of most
Americans was about 50 years of age and most of them
could not afford dental fillings. Fifty to sixty years
is much less than the average age of onset of AD.
Further, amalgams became more available to most working
class Americans after World War II, or in the early
1950s. The greatest increase in the use of amalgam
occurred at about this time and these ‘baby boomers
are the great ongoing amalgam experiment’. They are
now reaching the age where AD appears and have lived
most of their lives carrying amalgam fillings. They also
wonder what is causing their chronic fatigue as the
physicians can find nothing systemically wrong with
them. I would encourage all concerned to contact the
health experts on the rate of increase of AD in the
U.S.A. at this time. Consider the cost it will place on
the taxpayer and how much we would save if we could even
remove the exacerbation factors that might speed up the
onset of AD. I must point out that the "extensively
reviewed record of safety" mentioned in the ADA
letter was mostly done by dentists and committees
dominated by ADA dentists. Also, much of the
"safety opinion" was developed long before
words like Alzheimer’s disease and chronic fatigue
were commonplace. Further, these were
"reviews" and not carefully documented studies
based on scientific experimentation and done by
unqualified dentists, not medical scientists. Dentists
are not trained to do basic research, nor are they
trained in toxicology. Furthermore, the ADA does have a
vested interest in keeping amalgam use legitimate. The
ADA was founded on using amalgam technology and
participated in patenting and licensing amalgam
technology. One has to question why there has not been a
general outcry by the bulk of well-meaning dentists and
their patients and this question should be addressed.
The International Association of Oral Medicine and
Toxicology, started by American & Canadian dentists,
does adamantly disagree with the ADA on the issue of
safety of dental amalgams and this organization has the
mantra of "Show me your science" with regards
to all dental issues.
The ADA, through state dental boards stacked with ADA
members, has instigated a "gag order"
preventing dentists from even mentioning to their
patients that amalgams are 50% mercury. Dentists cannot
state that mercury is neurotoxic and emits from amalgams
and that the dental patient should consider this as they
select the tooth filling material they want used. If a
dentist informs a patient of these very truthful facts
he will be consider not to be practicing good dentistry
and his license will be in jeopardy. Attacking a
person’s freedom of speech because he is telling the
truth and causing serious questions to be asked about
the protocols pushed by a bureaucracy (the ADA) makes me
seriously question the commitment the ADA has for the
health of the American people. The negative stand taken
by many state dental boards against even informing the
patients about the mercury content of amalgams and the
other filling choices they have does not speak well for
the organized dental profession. What medical group
would give a treatment to a patient without telling them
of the risks involved?
"Issued late in 1997, the FDI World Dental
Federation and the World Health Organization consensus
statement on dental amalgam stated "No controlled
studies have been published demonstrating systemic
adverse effects from amalgam restorations.""
My first comment would be to question "who staffed
these committees and what percentage were connected to
the ADA though the NIDCR or the FDA dental materials
branch or other relationships?" We appear to have
the foxes guarding the henhouse! Then I would again
point out that "absence of proof is not proof of
absence". I would then ask ‘have any controlled
studies been done and if not, why not?’ If the ADA
dentists insist on placing amalgams in the mouth, are
they not required to show it is safe, not the other way
around? Should not the ADA and others concerned push to
require the FDA to prove amalgams are safe instead of
totally ducking this issue. Go to the FDA dental
materials web-site and try to find any evaluation of
amalgam safety---you will not succeed. The dental branch
of the FDA refuses to do a safety study on amalgams and
this is shame on our government.
"the small amount of mercury released from
amalgam restorations, especially during placement and
removal, has not been shown to cause any…adverse
effects." This increase in mercury exposure has
also not been shown to be safe by proving it does not
cause any adverse effects! Are we to believe this
elevated exposure to a toxic metal is good for us? If
one were in a building that caused the rise in
blood/urine mercury that appears after dental amalgam
removal, then OSHA would shut the building down. In
fact, no study by the ADA or NIDCR has been completed
that specifically and accurately addresses this issue.
Yet, the ADA leads us to believe that additional
exposure to toxic mercury from these procedures is not
dangerous to our health. Mercury toxicity is a retention
toxicity that builds up during years of exposure. The
toxicity of a singular level of mercury is greatly
increased by current or subsequent, low exposures to
lead or other toxic heavy metals (12). Therefore, the
damage caused by amalgams could occur years after
initial placement and at mercury levels now deemed safe
by the ADA.
Our ability to protect ourselves from the toxic
damage caused by exposure to mercury depends on the
level of protective natural biochemical compounds (e.g.
glutathione, metallothionine) in our cells and the
levels of these protecting agents is dependent upon our
health and age. If we become ill, or as we age, the
cellular levels of glutathione drop and our protection
against the toxic effects of mercury decreases and
damage will be done. This is strongly supported by
numerous studies where rodents have been chemically
treated to decrease their cellular levels of protective
glutathione and then treated with mercury, always with
dramatic injurious effects when compared to controls.
Therefore, published science indicates that mercury
toxicity is much more pronounced in infants, the very
old and the very ill.
A recent NIH study on 1127 military men showed the
major contributor to human mercury body burden was
dental amalgams. The amount of mercury in the urine
increased about 4.5 fold in soldiers with the average
number of amalgams versus the controls with no amalgams.
In extreme cases it was over 8 fold higher. Since the
total mercury included that from diet and industrial
pollution are we to expect that this 4.5 to 8 fold
average increase in mercury is not detrimental to our
health? Does this indicate that amalgams are a "safe
and effective restorative material"? Is the
public and Congress expected to be so naïve as to
believe that increased exposure above environmental
exposure levels is not damaging? Then why are pregnant
mothers told to limit seafood intake when mercury
exposure from amalgams is much greater? Then why is the
EPA pushing regulations to force the chloro-alkali
plants and fossil fuel plants to clean up their mercury
contributions to our environment? Obviously, from this
study most of the human exposure to mercury is from
dental amalgams, not fossil fuel plants. Yet, the FDA
lets the dental profession continue to expose American
citizens to even greater amounts of mercury. They do
this by refusing to test amalgam fillings as a source of
mercury exposure. Also, remember that the amalgam using
ADA dentists are a major contributor to mercury in our
water and air through mercury leaving the dental
offices, and even when we are cremated.
"The ADA’s Council on Scientific Affairs 1998
report on its review of the recent scientific literature
on amalgam states: "The Council concludes that,
based on available scientific information, amalgam
continues to be a safe and effective restorative
material." and "There currently appears
to be no justification for discontinuing the use of
dental amalgam." What would you expect an ADA
Council to say? The ADA, as evidenced in the current
letter by the President of the ADA, only quotes and
considers valid the published research that supports
their desire to continue placing mercury containing
amalgam fillings in American citizens. When were
dentists trained to evaluate neurological and
toxicological data and manuscripts? What is needed is an
international conference where both the pro- and
anti-amalgam researchers show up and present their data
in front of a world-class scientific committee. I would
challenge the ADA to line up their scientists and
supporters to participate in such a conference. This
could be held in Washington, D.C. so the FDA officials
could easily attend. Perhaps we could persuade the FDA
to sponsor such a conference. However, this is unlikely
since a recent written request to have a conference to
evaluate the safety of amalgams was rejected in a letter
from the FDA and signed by three FDA/ADA dentists who
presented the ADA line on this issue. Doesn’t it seem
a bit fraudulent to have FDA/ADA dentists deciding on
whether or not a safety study should be done on mercury
emitting amalgams being placed in human mouths with the
blessing of the ADA? This does seem like a conflict in
interest that Congress should address.
"In an article published in the February 1999
issue of the Journal of the American Dental Association,
researchers report finding "no significant
association of Alzheimer’s disease with the number,
surface area or history of having dental amalgam
restorations." This research was lead by a
dentist, Dr. Sax. It was submitted to the J. of the
American Medical Association and rejected. It was then
submitted to the New England Journal of Medicine and
rejected. It was then published in the ADA trade
journal, JADA, that is not a refereed, scientific
journal. JADA is loaded with commercial advertisements
for dental products. They even called a "press
conference" announcing the release of this article!
Calling a press conference for a twice-rejected
publication that is to appear in a trade journal is
playing politics with science at its worst! At this
press conference two of the authors made unbelievable
statements that were not supported by any of the data in
the article and conflicted with numerous major
scientific reports, including the 1998 NIH study (6).
Some of these were high-lighted in the side-bars of the
ADA publication. I would suggest that those concerned
with this article visit Medline and look at the
publication records of the two individuals who made
these statements. Also, look at the three earlier
excellent publications in refereed journals by some of
the other authors showing significant mercury levels in
the brains of AD subjects compared to controls (14a,b,
15). However, put a dentist in charge of the project and
the data gets reversed!
Apply some common sense. The ancillary comments by
some of the authors and the results of the JADA
publication are in total disagreement with the vast
majority of research published that looks at elevated
mercury levels in subjects with amalgam fillings. For
example, the NIH study on military men discussed above
showed a very significant elevation of mercury in the
blood that correlated with number of dental amalgams
(6). Another recent publication demonstrated elevated
mercury in the blood of living AD patients in comparison
to age-matched controls (10). These studies clearly show
that there should be increased mercury in your blood if
you have amalgams and especially if you have AD and
amalgams (6,10). Does not the brain have blood in it?
This makes it a total mystery as to how could the
authors of the JADA article not find elevated brain
mercury levels in patient with existing amalgams and/or
AD. Even cadavers have brain mercury levels that
correlate with the number of amalgam fillings they had
on death.
Further, if you are addressing the contribution of
amalgams to brain mercury and AD wouldn’t it be
important to divide the AD and control subjects into
those with and without existing amalgams on death? In
the JADA article this was not done and represents a
major research flaw! That this was not done also arouses
suspicion. I participated in submitting a letter
pointing out this flaw to editors of JADA but they
refused to acknowledge the letter and did not publish
our comments. It is my opinion that the entire situation
around this singular supportive publication of the ADA
position on amalgams, brain mercury levels and AD
represents a weak attempt at controlling the mind-set of
well-meaning dentists, scientists, physicians and
medical research administrators. It definitely impedes
honest scientific debate. It also explains the cavalier
attitude of the ADA and NIDCR about elemental mercury
exposure and toxicity when compared to the more serious
approaches taken by the EPA and OSHA.
With regards to the JADA article summary that
"no statistically significant differences in brain
mercury levels between subjects with Alzheimer’s
disease and control subjects." Here I must
quote Mark Twain on honesty, "There are liars,
damned liars and statisticians." Comparing the
level of mercury in the AD versus control alone using
straight-forward statistics previously showed a
significant difference on mercury levels in AD versus
control subjects (14a,b, 15). However, there are
anomalies, confounders and other factors that can be
considered in this situation, especially if you don’t
like the initial results. This allows one to invoke a
Bon-Feroni statistical manipulation. With Bon-Feroni you
include the comparison of one pair of data (that may be
statistically significantly different taken alone, e.g.
mercury levels in the brains of AD versus control
subjects) with several other pairs of data rendering the
difference statistically insignificant. One known
weakness of the Bon-Feroni treatment of several coupled
pairs of comparisons is that one very likely will miss a
single comparison that is significantly different, and
clever people know this. It is my opinion that
application of the Bon-Feroni manipulation is what
happened in this JADA study that reversed the previous
significance of the mercury levels in AD versus control
brain previously reported. Research previously reported
by some of the very same researchers involved in the
JADA study consistently indicated that mercury levels
were higher in AD versus age-matched control brains
(14a,b, 15). Only when an ADA dentist became involved
did the results change to being insignificant. I think
the data used in this JADA article and funded by NIH
needs to be re-evaluated by a different statistician if
we are to ever really know if the mercury levels in the
AD brains differed significantly from controls.
The letter from the ADA President then lists four
publications as proof of amalgams having no
statistically significant negative effects. Two of these
were published in Scandinavian Journals, another was a
review of the literature in a Dental Journal, and one
was the JADA article mentioned above. Sweden is well
known to have lead the world in the restriction and
replacement of dental amalgams with non-mercury
containing materials. Forces are pushing hard to get the
use of amalgams accepted again in Sweden to eliminate
this embarrassment to our ADA. The current situation in
Sweden and some other European countries, Canada and
Japan seriously questions the ADA contention of amalgam
safety. What if people in Sweden become healthier
without amalgams?
Additionally, the studies quoted by the ADA President
were epidemiological studies. These are very complex as
many confounders are included which make finding a
statistically significant difference very difficult. So
the results are negative, nothing found, and not
surprising. However, they are in disagreement with
numerous other similar reports and appear to be
hand-selected to support the ADA position. One has to
wonder, since the ADA President seemed to visit Swedish
journals to support the ADA position, how he missed the
research of the Nylander group in Sweden that showed
increased mercury content in brains and kidneys of
humans in relationship to exposure to dental amalgams
(17,18). Also, the referenced studies in the ADA letter
did not involve neurotoxicity, autism or neurological
disease---which is the question at hand. Rather, they
addressed fertility, reproduction and other systemic
illnesses. Could not the ADA find references to focus on
neurotoxiological studies? What about the 1989 study
that showed elevated levels of mercury in 54 individuals
with Parkinson’s disease when compared to 95 matched
controls (16)? Further, one ought to consider who was
doing these touted ADA studies and any vested interest
they may have in the outcome. I am also aware of studies
done in the U.S.A. by major research universities that
would disagree with the conclusions drawn by the ADA on
this subject yet these articles are not considered in
the ADA letter.
At the end of the last publication the quote "Conclusions:
No statistically significant correlation was observed
between dental amalgam and the incidence of diabetes,
myocardial infarction, stroke, or cancer."
How does this relate to an article published in the J.
of the American College of Cardiology where the mercury
levels in the heart tissue of individuals who died from
Idiopathic Dilated Cardiomyopathy (IDCM) contained
mercury levels 22,000 times that of individuals who died
of other forms of heart disease? Where did this
tremendous amount of mercury come from? Even a Bon-Feroni
manipulation could not make this difference
insignificant! Many who die of IDCM are
well-conditioned, young athletes who drop dead during
sporting events---and they live in locations and in
economic environments where sea-food is not a dietary
mainstay. Perhaps the victims of IDCM are within the ADA
Presidents "handful of individuals who are
allergic to one of its components."
"The National Institute of Dental and
Craniofacial Research is currently supporting two very
large clinical trials on the health effects of dental
amalgam. Studies underway for several years each in
Portugal and the Northeastern United States involve not
only direct neurophysiological measures but also
cognitive and functional assessments." Do we
really think that the NIDCR and associated ADA personnel
are going to deliver up a conclusion to American parents
saying "we put a mercury containing toxic material
in your child’s mouth that lowered his/her I.Q. and
made him more susceptible to neurological problems in
comparison to the children whom we selected to not get
exposed to this toxic material"? It is my opinion
that most bureaucracies don’t have a brain or a heart,
but they do have a very strong survival instinct.
Therefore, the results presented from this study will
likely follow previously ADA supported research, i.e. no
significant results.
Since the NIDCR started this project only 4 years ago
one has to ask why it took so long for them to get
involved since the "amalgam wars" have been
going on for scores of years? Was it the overwhelming
amount of modern science showing mercury from amalgams
being a major part of the daily exposure that forced
their hand and they had to develop a defense? Would I
trust the conclusions of this study without knowing who
put it together and who did the statistics? Not any more
than I trust the conclusions of the JADA article
mentioned in ADA letter that stupendously concludes that
mercury from dental amalgams does not get into the
brain.
As was proven by the tobacco situation, trying to
find any significant negative effect of one product
(amalgams) related to any disease through
epidemiological studies is very difficult and complex.
To do this with mercury would be difficult because of
the synergistic effect two or more toxic metals or
compounds (e.g. cadmium from smoking) may have on the
toxicity of the mercury emitted from amalgams. For
example, one publication showed that combining mercury
and lead both at LD1 levels caused the killing rate to
go to 100% or to an LD100 level (12). An LD1 level is
where, due to the low concentrations, the mercury or the
lead alone was not very toxic alone (i.e., killed less
than 1% of rats exposed when metal were used alone). The
100% killing, when addition of 1% plus 1% we would
expect 2%, represents synergistic toxicity. Therefore,
mixing to non-lethal levels of mercury plus lead gave an
extremely toxic mixture! What this proves is that one
cannot define a "safe level of mercury" unless
you absolutely know what others toxicants the individual
is being exposed to. The combined toxicity of various
materials, such as mercury, thimerosal, lead, aluminum,
formaldehyde, etc., is unknown. The effects various
combinations of these toxicants would have is also not
defined except that we know they would be much worse
than any one of the toxicants alone. So how could the
ADA take any exception, based on intellectual
considerations, to my contention that combinations of
thimerosal and mercury could exacerbate the neurological
conditions identified with autism and AD? Autism and AD
have clinical and biological markers that correspond to
those observed in patients with toxic mercury exposure.
Why would the ADA take this position? I personally feel
like I have been in a ten year argument with the town
drunk on this issue. Facts don’t count and data is
only valid if it meets the pro-amalgam agenda.
The ADA was founded on the basis that
mercury-containing amalgams are safe and useful for
dental fillings. This may have been an acceptable
position in 1850. However, modern science has proven
that amalgams constantly emit unacceptable levels of
mercury. Especially as the average life span has
increased from 50 to 75-78 years of age where AD and
Parkinson’s become prevalent diseases. The ADA can try
to verify its position using selected epidemiological
studies. But the bottom line is that amalgams emit
significant levels of neurotoxic mercury that are
injurious to human health and would exacerbate the
medical condition of those individuals with neurological
diseases such as ALS, MS, Parkinson’s, autism and AD.
I am hoping that the ADA sent this letter to your
committee and also placed it on the ADA web-site to
indicate that they are now willing for a wide-open
discussion to take place on the issue of dental
amalgams. I, for one, would welcome a major scientific
conference on this issue. The ADA should feel free to
post my letter in response and address any issue they
feel that I am mistaken about. However, in closing I
urge your committee to push forward on the study of the
potential dangers of mercury in our dentistry and
medicines. This includes mercury exposures from
amalgams, vaccines and other medicaments containing
thimerosal. The synergistic effects of mercury with many
of the toxicants commonly found in our environment make
the danger unpredictable and possibly quite severe,
especially any mixture containing elemental mercury,
organic mercury and other heavy metal toxicants such as
aluminum.
Sincerely,
Boyd E. Haley
Professor and Chair
Department of Chemistry
University of Kentucky
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