Additionally disturbing, the FDA assigned a pediatrician with little knowledge of toxicology to oversee its public reporting. When Dr. Leslie Ball was asked why she reported the mercury exposure levels in this deceptive fashion, she responded, “That is what I was told to do.”
In an e-mail to her superiors at the FDA on July 6, 1999, marked as being highly important and confidential and obtained through a Freedom of Information Act request, Dr. Ball asked Norman Baylor, PhD, director of the Office of Vaccines Research Review, “Has the application of these calculations as exposure guidelines received the sign off by toxicologists? In prior discussions, the toxicologists seemed reluctant to state any Hg (mercury) level was ‘safe.'”
In further email discussion between the CDC and FDA regarding the development of a consensus statement on the use of thimerosal in influenza vaccination of pregnant women, William Egan, acting office director of the Office of Vaccine Research and Review, Center for Biologics Evaluation and Research at the FDA, commented:
“I’m not sure that I would want to argue, for example, that one could take the allowed amount of mercury for a year and administer it as a bolus injection with the same outcomes as having it spaced out evenly over a year; the issue then becomes how much of a bolus can one give at one time without harmful effect, and this data does not exist (or at least I’m not aware of them).”
Despite Egan’s well-reasoned revelations, FDA and CDC regulators went ahead with their dangerously misleading announcement.
With this deceitful calculation in hand, the Public Health Service and the American Academy of Pediatrics reported to the American public on July 9, 1999:
“There is a significant safety margin incorporated into all the acceptable mercury exposure limits. Furthermore, there are no data or evidence of any harm caused by the level of exposure that some children may have encountered in following the existing immunization schedule. Infants and children who have received thimerosal-containing vaccines do not need to be tested for mercury exposure.”
Seventeen years later, thanks to the FDA’s 1999 sleight of hand, neurotoxic thimerosal, an unnecessary and dangerous vaccine preservative, continues to be injected into pregnant women, infants and children in the U.S. pursuant to the CDC’s recommendations and, in much larger doses, into hundreds of millions of children across the developing world.
Sophocles wrote, “All men make mistakes, but a good man yields when he knows his course is wrong, and repairs the evil. The only crime is pride.” The U.S. Department of Agriculture’s Ruth Etzel, MD, gave similar advice to her fellow regulators immediately after the FDA toxicologist repeated the monumental error by vaccine safety officials:
“The AAP should be dedicated to promptly providing truthful information about this situation to pediatricians. We must follow three basic rules:
- Act quickly to inform pediatricians that the products have more mercury than we realized.
- Be open with consumers about why we didn’t catch this earlier.
- Show contrition.
“As you know, the Public Health Service informed us yesterday that they were planning to conduct business as usual and would probably express no preference for either product. While the Public Health Service may think that their ‘product’ is immunizations, I think their “product” is their recommendations. If the public loses faith in the PHS recommendations, then the immunization battle will falter. To keep faith, we must be open and honest now and move forward quickly to replace these products.”
Ignoring Etzel’s wise advice, the CDC elected to paper over their catastrophic mistake and double down on vaccine mercury. By continuing to allow thimerosal to be used in vaccines, the CDC is causing harm to American pregnant women, their growing babies and to 100 million children all over the planet. And now we have proof that our regulators know exactly what they are doing.
Visit the World Mercury Project to learn more and sign up for updates from Robert F. Kennedy, Jr.