The ICNIRP certificate and safety

Councils have a statutory duty to improve the wellbeing of residents.

The ICNIRP “safety” certificate is based on guidelines which categorically do not apply to, or protect anyone with metal in their bodies. Here is the relevant statement from ICNIRP regarding its EMF safety guidelines “However, some exposure scenarios are defined as outside the scope of these guidelines. Medical procedures may utilize EMFs, and metallic implants may alter or perturb EMFs in the body, which in turn can affect the body both directly (via direct interaction between field and tissue) and indirectly (via an intermediate conducting object).” 

Please also note ICNIRP’s disclaimer on their website. They even say they’re not accountable for their guidelines “ICNIRP e.V. undertakes all reasonable measures to ensure the reliability of information presented on the website, but does not guarantee the correctness, reliability, or completeness of the information and views published. The content of our website is provided to you for information only. We do not assume any responsibility for any damage, including direct or indirect loss suffered by users or third parties in connection with the use of our website and/or the information it contains, including for the use or the interpretation of any technical data, recommendations, or specifications available on our website.”

The fact that the ICNIRP certificate does not apply to a large proportion of residents with any form of metal in their bodies is an acute safety issue which needs to be taken seriously and addressed. Doing so would NOT result in setting health safeguards different from ICNIRP (as per NPPF) but is in fact applying ICNIRP exactly as stated from a safety perspective.

There are many scenarios in which metal is used in the human body for medical reasons. Surgical – metal pins, plates, rods, discs, screws e.g. scoliosis surgery and joint replacement of knees and hips. Urinary, gynaecological and intestinal repairs – e.g. mesh repairs and copper contraceptive coils. Cardiovascular – implantable heart loop recorders, stents and pacemakers. Implants to treat and monitor health conditions, deliver drugs or to restore bodily functions e.g. diabetes related products. Magnetic cerebral spinal fluid shunts. Cochlear implants for hearing loss. Dental work – braces, implants, metal crowns, pins, denture arches, mercury amalgam fillings. What about body piercings?

There are very few of us that do not have some metal in our bodies and none of us know when we may need it in the future. These people are not covered by the ICNIRP certificate of “safety”. This is especially relevant given the usual Telco applicants attachments regarding health which are designed to try to allay health concerns but which ignore the latest published case studies from 2023 which reveal real-life harm from 5G masts – see abstracts below:

Any health and safety information has now been superseded by 3 recently published case studies which demonstrate the real-life effect of 5G deployment on human health. 

These case studies indicate a clear and unequivocal issue of serious public safety. The abstracts for these three case studies are included below. The conclusions of these studies need to be considered in conjunction with the fact that the ICNIRP “safety” certificate is based on guidelines which categorically do not apply to, or protect, anyone with any metal in their body.

1. Development of the Microwave Syndrome in Two Men Shortly after Installation of 5G on the Roof above their Office by Nilsson M of the Swedish Radiation Protection Foundation, Sweden and Hardell L. of the Environment and Cancer Research Foundation, Sweden. Published in the Annals of Clinical Case Reports February 2023.

Abstract: The 5th generation, 5G, for wireless communication is rolled out without previous studies on potential effects on human health and the environment. In this case study we describe two men, case 1 and case 2, working in three office rooms close to base stations. After the deployment of 5G, both men developed symptoms typical for the microwave syndrome, e.g., headache, tinnitus, dizziness, balance disorder, concentration and attention deficiency, and fatigue. Radiofrequency Radiation (RFR) after the 5G deployment was measured in the three offices. In office one maximum (peak) RFR during one minute varied from 463 to 1,180,000 μW/m2, in office two from 6,230 to 501,000 and in office three from 13,700 to 613,000 μW/m2. The symptoms disappeared in both men within a couple of weeks (case 1) or immediately (case 2) after leaving the office for other offices with much lower maximum peak RFR emissions, maximum for case 1 =16 and for case 2 =2,920 μW/m2.

This case report may be regarded as a provocation study on health from 5G RFR. The clinical picture in both men was clearly related to the exposure, although the exposures were well below the guidelines recommended by ICNIRP that are claimed to protect against all health effects. We conclude that the guidelines for RFR exposure based only on tissue heating by ICNIRP are inadequate to protect human health and that 5G appears to provoke symptoms of microwave syndrome in previously healthy people.

2. The Microwave Syndrome after Installation of 5G Emphasizes the Need for Protection from Radiofrequency Radiation by Nilsson M of the Swedish Radiation Protection Foundation, Sweden and Hardell L. of the Environment and Cancer Research Foundation, Sweden. Published in the Annals of Clinical Case Reports January 2023.

Abstract: In this case, report two previously healthy persons, a man aged 63 years and a woman aged 62 years, developed symptoms of the microwave syndrome after installation of a 5G base station for wireless communication on the roof above their apartment. A base station for previous telecommunication generation technology (3G/4G) was present at the same spot since several years. Very high radiofrequency (RF) radiation with maximum (highest measured peak value) levels of 354 000, 1 690 000, and >2 500 000 µW/m2 were measured at three occasions in the bedroom located only 5 meters below the new 5G base station, compared to maximum (peak) 9 000 µW/m2 prior to the 5G deployment. The rapidly emerging symptoms after the 5G deployment were typical for the microwave syndrome with e.g., neurological symptoms, tinnitus, fatigue, insomnia, emotional distress, skin disorders, and blood pressure variability. The symptoms were more pronounced in the woman.

Due to the severity of symptoms, the couple left their dwelling and moved to a small office room with maximum (peak) RF radiation 3 500 µW/m2. Within a couple of days, most of their symptoms alleviated or disappeared completely. This medical history can be regarded as a classic provocation test. The RF radiation levels in the apartment were well below the limit proposed to be “safe” below which no health effects would occur, recommended by the International Commission on Non-Ionizing Radiation (ICNIRP). These now presented symptoms of the microwave syndrome were caused by non-thermal effects from RF radiation and highlight that the ICNIRP guidelines used in most countries including Sweden do not protect human health. Guidelines based on all biological negative effects from RF radiation are urgently needed, as well as monitoring human health, not the least due to rapidly increasing levels of exposure.

3.  Case Report: A 52-Year Healthy Woman Developed Severe Microwave Syndrome Shortly After Installation of a 5G Base Station Close to Her Apartment by Nilsson M of the Swedish Radiation Protection Foundation, Sweden and Hardell L. of the Environment and Cancer Research Foundation, Sweden. Published in the Annals of Clinical Case Reports April 2023.

Abstract:  In this case report we present a woman aged 52 years who developed health problems consistent with the microwave syndrome after installation of a 5G base station facing her apartment at 60 meters’ distance. These symptoms consisted of e.g., headache, dizziness, concentration difficulties, fatigue, arrhythmia, skin burning and nose bleeding corresponding to the microwave syndrome. High radiofrequency (RF) radiation levels were measured in her apartment especially in the part closest to the base station. In her living room at the window 17 500 to 758 000 μW/m2 peak levels were obtained during 10 measurements, each over 1 minute.

At the place of her sofa in her living room peak levels from 36 800 to 222 000 μW/m2 were measured. It is noteworthy that very high radiation was found at the balcony facing the base station. All ten measurements at that place yielded within 10-15 seconds peak levels >2 500 000 μW/m2, which is the highest measurable level with the meter used in this study. At the playground about 40 meters from the base station peak levels of 1 120 000 μW/m2 and 479000 μW/m2 were measured, respectively. After temporally leaving the apartment for another dwelling with much lower RF radiation, 96 to 2 810 μW/m2 peak levels, almost all symptoms disappeared within a short time. After moving back to her own apartment the symptoms reappeared. This study is in line with the results of our two previous case studies showing that installation of 5G caused an extreme increase in exposure and rapid development of the microwave syndrome. These case studies indicate that implementation of 5G cannot be done without the risk of harmful effects on human health.

A former member of ICNIRP Dr James Lin has just published a study “Incongruities in recently revised radiofrequency exposure guidelines and standards”

This is his conclusion:

“The rapid proliferation of cellular mobile telecommunication devices and systems is raising public health concerns about the biological effects and safety of radiofrequency (RF) radiation exposure. There is also concern about the efficacy of promulgated health safety limits, rules, and recommendations for RF radiation used by these devices and systems. The recently revised RF exposure limits adjust only for heating with RF radiation. These limits are devised largely for restricting short-term heating by RF radiation to raise tissue temperatures. They dis-regarded decisions by scientific organizations such as IARC. Furthermore, the limits are based on obsolete information, circumvent important animal data, and even more so in the case of mm-wave radiation from 5G mobile communications for which there is a paucity of health effects studies in the published literature. They are flawed and are not applicable to long-term exposure at low levels. Instead of advances in science, they are predicated on misguided assumptions with outdated exposure metrics that do not adequately protect children, workers, and the public from exposure to the RF radiation or people with sensitivity to electromagnetic radiation from wireless devices and systems. Thus, many of the recommended limits are debatable and absent of scientific justification from the standpoint of safety and public health protection.”

https://doi.org/10.1016/j.envres.2023.115369

Case law, acknowledged by Three’s agents in other applications, suggests that public perceptions of health risks can be a material planning consideration within the land-use planning system. Below is an excerpt from a Barrister’s advice on this issue.

Public health concerns are in fact material considerations in the determination of an application for planning permission and accordingly a failure to have regard to them is a public law error, and a breach of the duty in section 70(2) of the Town and Country Planning Act 1990:

  • In Newport BC v Secretary of State for Wales [1998] Env. L.R. 174 the court held that it was a material error of law for the Secretary of State on an appeal to conclude that a genuinely held public perception of danger (in that case from a public waste treatment plant) which was unfounded could never amount to a valid ground for refusal of planning permission. Hutchinson L.J. held: “I would
    say that local fears which are not, in fact, justified can rank as part of the human factor and could be given direct effect as an exceptional or special circumstance”.
  • In Trevett v Secretary of State for Transport, Local Government and the Regions [2002] EWHC 2696 (Admin), a challenge to a decision made on appeal to grant planning permission for three telecommunications masts, Sullivan J held that the Inspector had properly followed the Newport approach and had recognised that the perceived adverse effects on health of the public could
    justify a refusal of planning permission.
  • T Mobile UK Ltd v First Secretary of State [2004] EWCA Civ 1763 (Pill, Mummery and Laws L.JJ.; 12th November 2004) concerned an appeal proposal for telecommunications infrastructure which complied with ICNIRP guidelines. The court held it would be open to the decision-maker to identify some exceptional circumstance whereby, despite compliance with ICNIRP guidelines, health concerns should constitute a material consideration justifying refusal.

Two Massachusetts Towns Call a Halt to 5G

On May 1st 2023, the residents of two towns in Massachussetts voted to new 5G cell towers on hold until the regulators provide environmental risk assessments and the FCC has addressed the 2021 Supreme Court ruling instructing them to account for non-thermal effects and EHS testimonials and adjusted their exposure guidelines (similar to ICNIRP) accordingly.

Article ‘The Defender’ Feb 2023.

Our blog on another Cease and Desist order in Massachusetts, May 2022

OUR COUNCILS have been sent very similar information as these towns in Massachusetts, their full documentation from the EHT is available here.

“5G: Hazards and Myths” presented by The Scientific Alliance for Education, March 16, 2023

Massachusetts’ decision making makes good logical sense.

We have the same bodies.

We have the same technology.

We have ICNIRP exposure guidelines which are similar to, and derived from the FCC ones defined in 1996, i.e based on a non-thermal paradigm.

Our Councils have the same obligations as these towns in MA, which is to reconcile the benefits and risks.

Our Councils have this legal obligation under planning law,  but also re-enforced under the the EECC (recital 106) despite the government not making this explicit when they transposed it. The UK government helped develop the EECC for 5G rollout and are now fudging and wriggling out of the regulation embedded within it by not informing and not resourcing councils to fulfill the regulatory function (required by EECC article 6.2)

Councils please acknowledge:                                                                                                                          

  • Real life 5G mmWaves have not been tested – only 3 studies have been done on health effects of in situ 5G. SaferEMR article.
  • “The current scientific database is inadequate at mm wavelengths to render a trustworthy appraisal or to reach a judgment with confidence.” James Lin, former ICNIRP.
  • Polarised pulsed beam formed mm waves have different biological effects to non-polarised. The government rely on Karipidis paper to support the safety of mm waves, but this critique explains why this is not logical.
  • The WHO South Africa is recommending telecoms provide maps of hotspots and are experimenting with mitigation of them in Amsterdam, but no provision whatsoever is made regarding hotspots of intensified radiation in the UK Link
  • Many are knowingly suffering and cannot live in Electrosmog filled environments without headaches, brainfog, nausea, sleepless nights, and worse – many can’t leave their homes, can’t travel, can’t shop, can’t work. If the US regulators are being tasked to include their testimonials, and the science is revealing biomarkers, then OUR regulators need to include a consideration of this growing section of the population. Many are unaware that it is EMF which is contributing to their suffering
  • Insects and pollinators are in rapid decline and there is research which indicates harmful effects from exposure to RFR and ICNIRP do not protect the environment.
  • We have sent countless detailed reports to our Councils of multiple harmful effects being demonstrated by peer reviewed research
  • Councils have received the New Hampshire Report which concludes that peer reviewed science supports a 500m setback is needed from a 4g and 5G mast for public health protection

“We have been addressing this Council for a while now on mast by mast basis. We appeal to you to address the picture as a whole. ENOUGH of skirting round these vital elements and time to properly address public and environmental protection. ENOUGH IS ENOUGH. The environmental risk assessment is essential. “

How to take this to the UK ?

We can continue to ask that our councils similarly stop the masts until they until they secure an environmental risk assessment using this news as backup.

If Massachusetts have balanced the risks and benefits and their conclusion is to STOP, then our councils also need to look at the same information and decide similarly. 

If our LPAs decide otherwise, they need to explain rationally why they think the benefits outweigh the risks. If they cannot do this rationally, they can be challenged legally on the rationality of their decision making.

We can remind them they are competent authorities under the EECC.

We can keep referencing the EECC, as the balancing of risk and benefit which should be happening anyway under planning law is reinforced for 5G within it. It was developed for setting out rules as 5G is rolled out. The UK government were involved in its development and now the UK government are skirting round it. The fact that the government are fudging these responsibilities needs to be known by the Councils,  and further challenged.

Even the councils knowing that there are regulation principles and procedures which have been developed and built into the EECC specifically for 5G can add pressure on the council.

Once the LPAs are properly informed, as they are by detailed and referenced objections, then accepting a blank self-certified certificate is an abhorrent abdication of responsibility and devious avoidance of regulation.

We can empathise with the Council that their reasons for applying government policy are strong, but we can emphasise that the lawful reasons for going against policy are much stronger. This example from Massachusetts really helps.

We can remind them that 1999/519/EC para 19 gives the LPAs legal argument for referencing guidelines other than ICNIRP.

We can supply them with guidelines other than ICNIRP which have included consideration of non-thermal effects and testimonials of EHS, such as:

EU Parliament, Baue Biologie Insitute, BioInitiative working group, Cyprus National Committee on Children’s Health, Austrian Medical Chambers, American Academy of Paediatrics, American Academy of Environmental Medicine, European Academy of Environmental Medicine, International Society of Doctors for the Environment, Environmental Health Trust, French National Assembly

Massachusetts website:

S.A.F.E. Helps You | Information and service projects concerning EMFs, GMO and health (safehelpsyou.org)

Extracts from attached press release:

”This is the first step in trying to protect our towns from intrusion by industry who has not complied with the court order and not proven this technology is safe.” 

“Berkshire County, MA – At the Sheffield and Great Barrington annual town meetings May 1st, 2023 residents voted in favor of the citizen’s petition Article 32 which requires the town to hold applications for 5G installations until the “FCC completes the DC Circuit court-mandated Environmental Review of the entire 800,000 to 1 million wireless telecommunication facilities roll out to the conditions as stated in the NEPA Policy Act 1969 including studies from scientists independent from industry, who have fully investigated millimetre wave 5G small cell technology safety; and that the FCC regulations have been updated to include measures that comply with the results of this review.”

“Specific concerns from the residents target the studies revealing millimetre wave frequency harm to pollinators. As agricultural communities, voters want to be convinced that their crops will not suffer if the myriad of 5G transmitters negatively affect the bees. Their warrant asks for input from scientists who are independent from the telecom industry who can give an unbiased report.”

This Karipidis paper is what the government are relying on to support their belief that 5G mm waves are safe, they used it in the AA5G case, but the critique (above) is excellent. The critique adequately supports the irrationality of relying on Karipidis.