UNITED STATES OF AMERICA DEPARTMENT OF LABOR MINE SAFETY AND HEALTH ADMINISTRATION (MSHA) + + + + + PUBLIC MEETING ON THE USE OF OR IMPAIRMENT FROM ALCOHOL AND OTHER DRUGS ON MINE PROPERTY + + + + + October 24, 2005 Little America Hotel 500 South Main Street Salt Lake City, Utah The above-entitled public meeting convened, pursuant to notice, at 9:00 a.m., REBECCA J. SMITH, Acting Director, Office of Standards, Regulations and Variances, MSHA, presiding. ALSO PRESENT: EDWARD SEXAUER, Chief, Regulatory Branch, Office of Standards, Regulations and Variances TOM McCLOUD, Training Policy Organization, MSHA GENE AUDIO, Metal and Non-metal Division, MSHA I-N-D-E-X PAGE I. Introductory Comments by Ms. Smith 3 II. Public Comment 10 III. Audience Comments 15 P-R-O-C-E-E-D-I-N-G-S (time not provided) MS. SMITH: Good morning. My name is Becky Smith. I am the Acting Director of the MSHA Office of Standards, Regulations and Variances. And on behalf of David Dye, who is the Acting Assistant Secretary for Mine Safety and Health, I'd like to welcome you all to this public meeting today. The purpose of this meeting is to discuss  have you discuss with us the use of, or impairment from, alcohol and other drugs on mine property. I'd like to also introduce others who are with the panel here today. On my right is Ed Sexauer. Ed is the Chief of MSHA's Regulatory Development Division, and he is the  leading this effort for the agency. On my left is Tom McCloud. Tom is with MSHA's training policy organization, and on his left is Gene Audio, who is with MSHA's metal and non-metal organization. This is the first of seven of these public meetings, and these meetings were announced in the advance notice of proposed rulemaking, which was published in the Federal Register on October 4, 2005. The other meetings will be held in St. Louis, Missouri; Birmingham, Alabama; Lexington, Kentucky; Charleston, West Virginia; Pittsburgh, Pennsylvania; and Arlington, Virginia. The Federal Register document lists the dates and exact locations for the remaining meetings, and there are extra copies in the back if you'd like to have an extra copy. The purpose of these meetings is to obtain information about the use of, or impairment from, alcohol and other drugs on mine property. We'll use the information from these public meetings and from written comments to help us make decisions about whether we need to change our existing rules, develop new rules, or provide training or other assistance to the mining community on these issues. Because we believe there may be a variety of approaches to address the problems of alcohol and other drugs on mine property, we are seeking information to  related to both regulatory and non-regulatory solutions. The data and factual information we obtain from these public meetings and from written comments will help us to develop a more informed understanding of the problem and its solutions. Our preliminary review of our fatal and non-fatal mine accident records revealed a number of instances in which alcohol and other drugs or drug paraphernalia were found or reported or in which the post-accident toxicology screen revealed the presence of alcohol or other drugs. However, our accident investigations do not routinely include an inquiry into the use of alcohol or other drugs as a contributing factor. There may be instances in which alcohol or other drugs were involved in accidents and either are not reported to us or we do not uncover during our investigations. Because we are concerned that alcohol and other drugs can create risks to minor safety, we have initiated a number of education and outreach efforts to raise awareness in the mining industry of the hazards stemming from the use of alcohol and other drugs. These efforts include alliances with four international labor unions, production of awareness videos on the hazards of alcohol and other drugs, monetary grants to states to provide substance abuse training, and stakeholder meetings at the local level to discuss these issues and raise awareness of these problems. Additionally, during a one-day summit we conducted with the states of Kentucky, Virginia, and West Virginia, in 2004, several coal mine operators described the effectiveness of their drug-free workplace programs and expressed their concern that such programs were not universal in the industry. The significance of the problem of alcohol and other drugs in the workplace has been recognized by the Federal Government, and a number of programs have been implemented and various statutes enacted with the goal of reducing the use of alcohol and other drugs in the workplace. For example, the Anti-drug Abuse Act of 1986 allows the Secretary of Labor to initiate efforts to address these issues. The Omnibus Transportation Employee Testing Act of 1991 requires the transportation industry employers to conduct drug and alcohol testing for employees in safety-sensitive positions. The Drug-Free Workplace Act of 1998 establishes grant programs that assist small business in developing drug-free workplace programs, and the Department of Labor's working partners for an alcohol- and drug-free workplace, of which we are a partner, is a public outreach campaign raising awareness and assisting employers to implement these programs. On the regulatory side of this issue, MSHA currently has a safety standard for metal and non-metal mines that addresses the use of alcohol and narcotics at these mines. The rule language is the same for both surface and underground metal and non-metal mines, and the rule language states as follows, and I quote, "Intoxicating beverages and narcotics shall not be permitted or used in or around mines. Persons under the influence of alcohol or narcotics shall be  shall not be permitted on the job." Between January 2000 and June 2005, we issued 75 violations of the metal and non-metal surface regulation and three violations of the metal and non-metal underground regulation. But currently we don't have a similar regulation for coal mines. Using drugs or alcohol at a mine site can impair a miner's judgment significantly at a time when a miner needs to be alert and aware. Even prescription medications can affect a worker's perception and reaction time. Mining is a complicated and hazardous occupation, and a clear focus on the work at hand is a critical component of workplace safety. Therefore, through these public meetings and written comments, we are seeking data and information about six general topics that are outlined in the Federal Register notice, and these six topics are as follows. Number 1, the nature, extent, and the impact of substance abuse at the workplace, including how to measure the extent of the problem. Number 2, the types of prohibited substance and use and the problems they present. Number 3, the impact of effective training to address substance abuse. Number 4, how our investigations of accidents could address alcohol and other drugs. Number 5, the components of a drug-free workplace program and how well they work. And, number 6, the costs and benefits of addressing substance abuse at mines. The Federal Register document poses several questions about each of these six issues, and you're encouraged to respond to these questions specifically as they relate to the mining community. The procedure for each of these public meetings will be the same. Those who have notified us in advance of their intent to speak or have signed up today will make their presentations first. After all scheduled speakers have finished, others are free to speak, and we will conclude this public meeting when the last speaker has finished. This meeting will be conducted in an informal manner, and formal rules of evidence will not apply. This MSHA panel may ask questions of the speaker for the record to clarify statements made, but there will be no cross examination of speakers. If you want to present any written statements or information today, please clearly identify those and give them to me before the conclusion of this meeting. I will identify the material for the record by the title as you have submitted it. You may also submit comments following this meeting, but you must submit them by November 27th, which is the close of the comment period. You may submit comments to us by electronic mail, fax, or regular mail at the addresses listed in the Federal Register notice. A transcript of this meeting is being made, as I've mentioned, and will be available on our website within a few days. If you want a personal copy of this transcript, you can make those arrangements with the Court Reporter today. Thanks for your patience to these introductory remarks, and we will now begin with those who have requested to speak. To ensure that we get an accurate record, if you could say and spell your name and your organization for the record, please. Our first speaker will be Steven Rex. Good morning. Please. MR. REX: Good morning. Again, my name is Steven Rex. Steven with a V, R-E-X is the last name. I work for Pittsburgh and Midway Coal Mining Company at the Kemmer, Wyoming, Kemmer mine. And I do not have any lengthy prepared statements. I do hope to be able to submit something in writing, but would like to thank you for the privilege of being able to just say a word or two at this hearing. We, at our mine  I think we're universal in our concern to preserve and create the safest environment possible for our coal miners there. We have some of the programs that you have mentioned in the document that you just read from, and we probably are on the way to establishing a little bit more. Throughout our company, our different mines  we have a mine in New Mexico and a mine in Alabama as well  and I won't try and speak for them, because I expect that they may well want to have input perhaps when you conduct your hearings over in that state. However, I do know that at the mine in Alabama that they have a very comprehensive anti-drug and alcohol program, and they do also in New Mexico. At our mine, we are probably not quite as comprehensive, but we do have many of the components, and we have just begun random testing among salaried employees. And we're looking at some point in the future to be able to extend that to all of our miners. I don't have any hard evidence as to  as to the extent of usage. Obviously, there are the comments and questions that employees have, but you mentioned the study that was done by the Health and Human Services people in your document, and we don't have any evidence that would indicate that we're any better than what that study has revealed. Therefore, it is a concern to us, and we feel that we would like to do a little bit more, and also we encourage any cooperation that can be put together between government and industry and labor and safety organizations in order to improve the safety regarding the potential use of drug and alcohol in mining operations in our country. It is my personal belief that if additional regulatory action is looked at that we need to take a real hard look at the behavior side and make a very personal  and I guess the one little analogy that I would use is while I'm driving home this afternoon and I get pulled over for going 90 miles an hour, and when the patrolman asks me for my driver's license I say, "Oh no, you don't write that to me. You write it to the company." That probably won't be a whole lot of deterrent on my part for me to be careful in the future. I guess what I'm saying is, as an individual, I would expect to be held accountable a little bit more for my personal behaviors regarding safety in this regard. I believe that would be something that we ought to look at. I don't know exactly what that would look like or how it would be implemented, but I think it's something that should be considered, especially in light of the fact that the bulk of the incidents that occur are behavior-based, somewhere between 85 and 95 percent, and not based on conditions. And I think that's an area that we could look at to kind of maybe help get us to the next level in safety, and any work that's done in this area should consider that element. There may well be other elements also. That's really all I have to say today, but just appreciate the opportunity to be here and appreciate the focus and the attention. I know that not only in MSHA but also in our communities there is a lot of attention on this. Even in our school, I have just learned this past week that our school, for their sports programs, have gone to a random testing program. And in the public hearing that they held it was probably about 90 percent in favor and 10 percent against amongst the parents of these children who participate in high school athletics and other activities. So I applaud that. I applaud that effort and hope to see something that will help us be better. We need to do a little better than we're doing. And that's all I have to say. MS. SMITH: Thank you, Mr. Rex. We would appreciate any information you care to submit for the record. And, again, the close of the comment period is November 27th. Experiences from your participate mine about your program would be helpful to us. MR. REX: Very good. MS. SMITH: If you care to share. MR. REX: You bet. We'll share what we have. MS. SMITH: Cost information, implementing a program, data about accident injury rates, all of that kind of information  MR. REX: Okay. MS. SMITH:  would be very helpful to us. If you care to share that, that would be  MR. REX: Okay. And we started trying to put that together, but just  we didn't  I personally didn't have time to get it all together to bring today. MS. SMITH: No, that's fine. But we would appreciate that kind of information. If you are willing to share that with us for the record, that would be great. MR. REX: Okay. MS. SMITH: Thank you very much. MR. REX: Thank you. MS. SMITH: Do the panel members have any questions for Mr. Rex or anything you'd like to mention? PARTICIPANT: There's a lot of information I know that's out there, and you shared information with us this morning. I'm looking forward to getting your submittal, your written submittal. MR. REX: Okay. PARTICIPANT: And I appreciate your coming to speak this morning. MR. REX: Okay. Thank you. PARTICIPANT: Thank you. MS. SMITH: Thank you. We currently don't have any other speakers signed up to speak this morning. Is there anyone in the audience who would like to make a few remarks at this point in time? Please. MR. COOPER: Yes. My name is Mike Cooper, C-O-O-P-E-R. I'm Health and Safety Director of Skyline mine here in Utah. My concern, and I do agree with the following gentleman on behavior of employees, we  we have randomly drug tested for many years now. We have caught one or two. But our sister mines, one in particular, has had recent problems where they thought they were doing very well, and come to find out they weren't. So my point is is we need  I think we need more help and better training from MSHA. We can see that there is so much available to the employees and to those who are  the employees that are drug users to hide, to cover up their drug use. I myself have always been quite leery of the phrase that an employee  or an employer or a supervisor/foreman should have known. When you are dealing with somebody that's an alcoholic or a drug user, they know how to hide it. They know how to lie very well, know when to use, when not to use. Part of the area that I would think we need help on is on how to, you know, do random drug tests properly, what are  what laws say we  how far we can go, can we use something like a locker or lockdown where we have professionals come in and help us locate drugs. Or I guess I'm just saying the employer is in, you know, a negative position where drug users can hide and can be very sneaky, and we need help on how to  to combat that. That's my concern, that we need help in that way. That's the comments I have. MS. SMITH: Thanks. Thank you, Mr. Cooper. Do you plan to submit written comments on behalf  MR. COOPER: Yes. MS. SMITH:  of your organization? Okay. MR. COOPER: Yes, I do. MS. SMITH: That would be great. We would appreciate whatever questions you'd like to pose of us that you would like for us to solve in this as we move forward. That would be helpful. Thank you, Mr. Cooper. MR. COOPER: Thank you. MS. SMITH: Anyone else who would like to offer comments at this time? PARTICIPANT: Can we go off the record just for a minute, please? (Whereupon, the proceedings in the foregoing matter went off the record briefly.) MS. SMITH: What we're going to do at this point in time, since we have no other speakers at this point, we're going to go off the record for about an hour, until about 10:30, see if we have late arrivals who have an interest in offering some comments, and we'll come back on the record and check at that point in time to see if we have additional interest. Yes, sir. Before we go off the record, you have something you want to say? MR. ADAIR: I guess. MS. SMITH: Okay. (Laughter.) We're still on the record. MR. ADAIR: My name is Laine Adair. I'm with Andalex, L-A-I-N-E, A-D-A-I-R, and the company is Andalex, A-N-D-A-L-E-X, Resources Incorporated. We have a zero tolerance program at our operations. We run three mine companies down in Carbon-Emery County, and we use pretty much the NIDA guidelines for limits on narcotics and things of that nature. For alcohol, we use a .02 cutoff limit for considering under the influence. We do preemployment drug screens. When we transfer people from one mine to another, we do drug screens. We do post-accident drug screens, and we have done random drug screens, but I have found between transfers of people and post-accident and for cause  this last two years we have randomly tested over 33 percent of our workforce, and we found 2.6 percent of that to be positive. That amounted to about 16 people. About half of that was marijuana, there was one alcohol, and the rest were methamphetamines and cocaine. We've had one of those 16 was a post-accident. The rest of them were either from transfers or  we get an awful lot of anonymous phone calls from employees. Typically, it's a wife, says she's concerned about somebody that works with her husband. And we act on anonymous phone calls, and we take the people down and drug screen them. The next time they show up for work, we take them down and drug screen them at the hospital. We have found that the anonymous phone calls, the people policing the workforce themselves, is because 80 to 90 percent of those anonymous phone calls have been positive on the drug screens, which was a big concern to us whether to act on the  you know, the  I've actually had a probation officer call me anonymously. (Laughter.) Later he caught me on the street and said, "I'm sure glad you acted on that." I said, "Why in the hell didn't you tell me your name?" But it's  we pay the people when they're off until the results of the drug screen comes back. So on your accident program, if you have an accident and you send a person down for a drug screen, you might be up to three days. And typically it's one day turnaround the data. But if it's positive, we send it to a  a different lab for the chromatograph testing, for a confirmation, and then it goes to a medical review officer who tests all the results, and then he comes back, he usually contacts the person and comes up with the  you know, the positive or the negative on it. Over the years, I've had one employee who tried to sue us over it, got a lawyer. And, you know, we got out of that pretty easy, but other than that we've had no outside legal problems. I think that, you know, we're all after a safer workforce, and drugs and alcohol are a real problem. The alcohol  you know, the .02 cutoff limit, about .01 is about the limit of their ability to really test for alcohol, and .02 is double that, and there's a lot of literature out there that at .02 your reflex times are slowing down and things of that nature. So our zero tolerance, we use the .02 and have been successful with that. We've not had much alcohol problem, because with the smell of alcohol, any smell at all, .02  if you drink a beer, you  if you work on night shift, you'd better not drink a beer when you get out of bed in the morning, because it'll still be with you at 3:00 in the afternoon. And we've not had much trouble with alcohol, but the other drugs are a problem. I think our main concern is regulation is great for regulators, but we don't want to get to where, you know, typically we see MSHA citing the operator. And a lot of this activity by these people is off the job. Some  it has been amazing to us some of the people that have come up positive on these drugs. You had had no idea, other than they were caught on a random. We've had people bring other people's urine. We've had people with drugs that they mix in with the tests when they go down to the lab, you know, and they keep these on their bodies all the time, so they're ready for this. So it's pretty hard for the operator to be totally responsible for this. And, you know, my comment, more than anything, is that this regulation needs to be aimed towards the people. It's a national problem, and to be  what I see out of this is MSHA just writing us another citation, because somebody was using drugs on our property. And we have a real  what I consider a  you know, with our preemployment, we've actually tested over 75 percent of our people in this last two years, with those types of drug screens. So we've been very positive about this, but yet we're still getting  we're finding positive results, and there's  I know right now there's more people at our mines who are using drugs that we haven't caught. And  but anyway, I'm just not looking for more citations from MSHA. MS. SMITH: Does Andalex have a written program? MR. ADAIR: Yes, we do. MS. SMITH: It is written. If you would like to share that with us, we would love to see it. MR. ADAIR: I think that any other comments we might make would be through the Utah Mine Association. That's what our plan is. MS. SMITH: How does your post-accident drug screening program work? Do you  the injured individual obviously is tested. Are others working with that individual tested also? MR. ADAIR: We've got in the policy that we can test anybody that we suspect. So like if a guy driving a piece of machinery hurts another person, we can test both the injured person plus the person driving the piece of machinery, you know, as a result of your investigation. MS. SMITH: We have a lady in the audience who is from the Department of Labor's Working Partners for a Drug-Free Workplace. Ms. Carr would like to ask a question if you don't mind. MS. CARR: I just would be interested in hearing about what happens based on a positive? Is that person terminated, or are they referred for treatment? MR. ADAIR: We have a zero tolerance. One time and you're out, and we terminate. We've done a lot of study, and we find that one or two out of a hundred  1 or 2 percent of people in programs with vocational rehab or these other federal agencies and stuff  one or two people out of a hundred turn it around. And we don't  for us to bring that person back into the workforce and take that risk, we had  I've had kids you can't believe what they'll do to sneak through this. And once we catch them, we don't  that's it, and they understand that. MS. SMITH: Okay. Thank you. PARTICIPANT: I'm curious about the anonymous phone calls you get. Is that part of a program, or is that something that just evolved by happenstance? MR. ADAIR: It has just evolved. Our workforce wants a safe workplace. We've had gas station attendants call us that such-and-such just left here on his way to the mine drinking a beer. PARTICIPANT: So it just started, and then you obviously embraced it, because you've had profound success in the testing from that. MR. ADAIR: Obviously, we had real concerns about that in the beginning, you know, with  you know, with  but we've only had a couple tat were what we considered just nuisance or somebody  the guy always says, "Well, it's just my ex-wife getting mad at me." But then he turns up positive. So maybe she should have been mad. (Laughter.) PARTICIPANT: Have you more formalized that program? Is there like a specific number that people call, or is it still a random  MR. ADAIR: No. PARTICIPANT: Okay. Thank you. PARTICIPANT: One more question. You refer to some NIDA guidelines. MR. ADAIR: Well, it's just federal guidelines  the highway department, transportation, things of that nature. PARTICIPANT: Okay. MS. SMITH: Thank you very much. We appreciate your comments. Others? Please. MR. CHILDS: My name is Don Childs, C-H-I-L-D-S. I'm with the Energy West Mining Company, a subsidiary of Pacific Corps. We have a policy in place presently. We do not do random testing, but we do for cause and post-accident testing. We  and it's interesting, we have had  over the last few years we've had a number of random calls to that. It seems to be something that occurs with other companies as well, and obviously we act on those people, too. We haven't found anyone that has been positive in those situations. I think we just have mad ex-wives in our situations apparently, but  MS. SMITH: Let's not blame all of this on ex-wives now. (Laughter.) MR. CHILDS: They were the ones that called, so  a couple of I guess concerns or comments that I would make is that we have found  or I guess the concern that we have as much as alcohol and illegal drugs  would be prescription medication. That's an area that I think we have as much concern about as other type of drugs  marijuana, cocaine, those type of things. And, you know, we have  we have found a couple of instances where we have had positive tests. A couple of things have occurred where an individual has  they're taking more than what the prescription calls for or they  we found a couple of instances where they have been taking their wives' prescriptions. And, you know, we have considered those as positive and dealt with them accordingly. Our policy does provide, if we do find someone positive, that we do give them a one-time opportunity for rehabilitation, and they go through that. They have to complete that successfully, and  but if they are positive, then they would remain on a random test for a couple of years after that. And if they are positive a second time, then they would be  they would be terminated at that point. The other area that we maybe would like to address or I have a concern about has to do with the collection. Someone goes down for an accident, a test is completed, either at the clinic or at the emergency room, and sometimes if it goes in for confirmation we're looking at, you know, two to three days to get that result back. And, obviously, if it's  if it's negative, then there is a potential of an employee missing, you know, several days of work, which obviously is a problem. We have had a concern in the past about, you know, being accurate with the testing, but it would be real good to be able to do testing onsite, or at least the collection onsite potentially if it meant all of the, you know, right legal criteria to do that, and that would eliminate the  possibly the time, at least the initial testing. And if it was positive, then it would obviously go in for confirmation. But I guess the one area that we would maybe have more concern about, or as much, would be, again, the prescription drug area. That's something that needs to be addressed as much as just the alcohol and other drugs. MS. SMITH: Has Energy West looked into the legality of onsite collection authority in any way? MR. CHILDS: No. I can't say that we have. Now, we  we are doing that. We have an individual that comes onsite and makes a collection when we do  some of our employees are involved with the DOT regulations, and, of course, and we do random testing with those individuals. And we do that onsite, as a collection at least onsite. The testing is not done, but the collection is done onsite. And so  and as far as we know, that is something that is, you know, legal to proceed that way. MS. SMITH: Does Energy West have a written program? MR. CHILDS: Yes, we do. MS. SMITH: It would be great  if you would like to share that with us, we'd like to see it. MR. CHILDS: We can do it. MS. SMITH: Does the policy have  make distinctions between prescription drug use and any kind of manner that the employee would be dealt with  MR. CHILDS: No. MS. SMITH:  in terms of  MR. CHILDS: There's no difference. If it is felt by  if they're reviewed by the MRO, the medical review officer, if it is out of line, then it would be considered a positive screen, and they would go through a rehab program, irregardless of it being prescription or otherwise. PARTICIPANT: Do you have a preemployment drug testing program? MR. CHILDS: Yes, we do. I have also preemployment, as they say, for cause and accident testing. We do not have a random, other than for individuals that are positive the first time. PARTICIPANT: What's your experience generally, or maybe someone else would like to address this, with preemployment? And do you find with initial screening that you do eliminate a number of individuals? MR. CHILDS: I can't say a number. We haven't, you know, been hiring an awful lot of folks the last little while. But I would say over the last, oh, probably three years, I would say 5 percent maybe, somewhere in that that we have eliminated as a potential applicant. PARTICIPANT: Okay. MR. CHILDS: Not a lot, but there are, you know, certainly a few. And that's a positive thing, because it  you know, that they would be eliminated from the potential as an employee. And if that can be done, that's a good thing. MS. SMITH: Ms. Carr has a question of you. MS. CARR: Just a point of clarification. In terms of your concern with prescription drugs, it sounds like as long as someone is taking a prescription according to the doctor's requirement, that's not your concern. It's only the abuse or misuse of prescription drugs? MR. CHILDS: Yes. That would be correct. We would also  you know, we would obviously have a concern if they are taking a prescription drug that would be harmful to them as far as operating the equipment, that type of thing. That's information that we would like to know, but primarily those that are abusing that, or using someone else's prescription, those would be the concern. MS. CARR: In terms of the appropriate use that might affect your ability to operate safely, how do you pose that in your  MR. CHILDS: Well, actually, I don't think that we have really addressed that as far as  I don't think we have that information as far as from our employees, that they would provide information, that that would be a deterrent for them. But I think it is a concern, something that we would like to address. MS. SMITH: Thank you, Mr. Childs. MR. CHILDS: Thank you. MS. SMITH: We appreciate it. Do we have anyone else who would like to offer comments? All right. I think what we'll do is we'll go off the record for about an hour, until, say, about quarter 'til 11:00, and we'll come back on the record at that time and check to see if we have anyone else who has come in who'd like to offer comments then. Thank you. (Whereupon, the proceedings in the foregoing matter went off the record for approximately one hour.) MS. SMITH: All right. We're back on the record. I'd like to ask if there is anyone who would like to give any additional statements or testimony this morning. No one? All right. Thank you. With that, we will close the record on this public meeting, and we appreciate all of the comments and input, and remind all of you again that if you are going to submit written comments for the records, materials/ information that would help us, we would appreciate those by November 27th, which is the close of the record. And thank you all for coming. (Whereupon, the proceedings in the foregoing matter were concluded.) ?? NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W. (202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com