Next Article in Journal
Beauty Beware: Associations between Perceptions of Harm and Safer Hair-Product-Purchasing Behaviors in a Cross-Sectional Study of Adults Affiliated with a University in the Northeast
Previous Article in Journal
Assessing the Determinants of Compliance with Contribution Payments to the National Health Insurance Scheme among Informal Workers in Indonesia
 
 
Font Type:
Arial Georgia Verdana
Font Size:
Aa Aa Aa
Line Spacing:
Column Width:
Background:
Article

Evaluation of Radon Action Plans: Searching for a Systematic and Standardised Method

by
Meritxell Martell
1,*,
Tanja Perko
2,3,
Kateřina Navrátilová Rovenská
4,
Ivana Fojtíková
4 and
Robbe Geysmans
2
1
Merience, Llimoner, 30, 08734 Olèrdola, Barcelona, Spain
2
Belgian Nuclear Research Centre SCK CEN, Boeretang 200, 2400 Mol, Belgium
3
Faculty of Social Sciences, University of Antwerp, Prinsstaat 13, 2000 Antwerp, Belgium
4
National Radiation Protection Institute (SURO), Bartoškova 1450/28, 14000 Prague, Czech Republic
*
Author to whom correspondence should be addressed.
Int. J. Environ. Res. Public Health 2023, 20(23), 7128; https://doi.org/10.3390/ijerph20237128
Submission received: 21 September 2023 / Revised: 3 November 2023 / Accepted: 27 November 2023 / Published: 30 November 2023
(This article belongs to the Section Environmental Health)

Abstract

:
Radon, a carcinogenic radioactive gas, is a leading cause of lung cancer according to the World Health Organization. European Member States are required to develop and implement National Radon Action Plans (RAPs) to address its dangerous health effects. However, assessing the effectiveness of these RAPs presents challenges for authorities. This study aims to explore the possibility of a systematic and standardised assessment method to evaluate the effectiveness of RAP strategies and its implementation. The method involved analysing the strategies of 27 EU Member States and the UK, conducting legal document analysis and group interviews with responsible authorities. Additionally, four regional workshops and one final European workshop were held. The research took place from March 2021 to May 2023. Findings indicate that evaluating RAP effectiveness is challenging due to limited existing common criteria or indicators. To address this, the study proposes guiding questions for each element required by the EU Directive, as well as additional questions related to education and training. This contribution benefits RAP owners and European regulatory authorities, supporting the development of effectiveness indicators for RAPs. By improving assessment methods, we can enhance the effectiveness of strategies in mitigating the risks associated with radon exposure.

1. Introduction

Radon is one of the major indoor air pollutants that comes from the decay of naturally occurring uranium and thorium in soil and rocks. It can accumulate in indoor environments through small cracks or holes in a building’s substructure. According to the World Health Organization [1], radon is one of the leading causes of lung cancer in both non-smokers and smokers, with synergistic effects in the latter. Radon is also “estimated to cause between 3% to 14% of all lung cancers in a country, depending on the national average radon level and smoking prevalence” [2]. In Europe, around 19,000 lung cancer deaths in 2019 may have been due to naturally occurring indoor residential radon [3]. Accordingly, protection against radon is one of the actions included in Europe’s Beating Cancer Plan as well as achieving a tobacco-free Europe [4].
At the international level, the WHO Handbook on Indoor Radon [1] highlights the need for national radon programmes, including multi-agency collaboration, the role of policymakers and authorities, financial considerations, mandatory versus voluntary approaches and establishing a national reference level. Additionally, eight organisations (European Commission, Food and Agriculture Organization of the United Nations, International Atomic Energy Agency, International Labour Organization, OECD Nuclear Energy Agency, Pan American Health Organization, United Nations Environment Programme and World Health Organization) [5] cosponsored the International Basic Safety Standards on Radiation Protection and Safety of Radiation Sources, which require International Atomic Energy Agency (IAEA) Member States to establish and implement an action plan comprising coordinated actions for controlling public exposure due to radon indoors [4]. A similar requirement is introduced at the European level with the Council Directive 2013/59/Euratom Basic Safety Standards, BSS Directive [6], which mandates that European Union Member States (EU MS) establish National Radon Action Plans (RAPs) to reduce radon exposure and ultimately the risk of lung cancer (hereinafter referred to as BSS Directive). Annex XVIII of the Directive provides a list of 14 items to be considered by authorities in preparing a RAP. RAPs should include measures such as radon mapping, the promotion of radon-resistant construction techniques to prevent radon ingress into new buildings and the provision of information to the public on radon risks and mitigation measures.
Bochicchio et al. [7] have noted the need for adequate indicators to assess the effectiveness and progress of the actions established in RAPs. They also support the use of indicators for taking decisions on future approaches to radon management. Based on our evaluation, there is currently no common set of criteria or indicators to measure the effectiveness of the different actions included in the RAPs. This paper is based on the European Commission-funded study EU-RAP entitled “Review and evaluation of national radon action plans established in EU Member States according to the requirements in Council Directive 2013/59/Euratom”. The paper sheds light on the evaluation of RAPs in EU member states and the UK. It investigates which review requirements and practices are currently in use, and provides more detailed examples from three countries that have developed and used specific assessment indicators. Furthermore, it considers whether the assessment methodology used in the EU-RAP project itself could be of value for future national RAP evaluations.

2. Radon Contextual Information per EU Member State and the UK

This section summarises radon contextual information in all European member states and the United Kingdom, particularly reference levels (RL), dose coefficient, the delineation of radon priority areas (RPA) and the data and criteria used for the delineation as of January 2023, as shown in Table 1.

3. Methods

A mixed method approach was used, comprising an online survey, content analysis of legal documents, group interviews, four regional workshops and the final workshop. The study was conducted in 27 EU MS and the United Kingdom (UK). Firstly, the online survey was sent to all responsible authorities charged with the implementation of RAPs in February 2021. The survey focused on which authorities are (or will be, as foreseen in the RAP) responsible for different radon matters and whether this responsibility is shared or not. The responses allowed the authors to identify responsible authorities for different aspects of radon management. Subsequently, reminders were sent at biweekly intervals and then weekly to authorities that had not responded to the survey. In March 2021, all authorities received a report with the information gathered in order to cross-check our understanding of their answers and to clarify any open questions. Secondly, for the legal document review and content analysis, the authors contacted national authorities in order to collect RAPs or related legal documents (if RAPs were not yet developed). A total of 25 RAPs, including draft versions of the plans, and related documents were received and analysed. A protocol for the analysis guided the extraction of data to be analysed and was consulted on with the EU-RAP reference group of experts who provided advice and expertise to the consortium and validated the project results. This group consisted of twenty experts from different disciplines involved in radon risk management. Questions were defined for each of the 14 elements of Annex XVIII of the BSS directive, and for a 15th element focused on radon-related education and training, as shown in Appendix A. For each of these 15 elements, additional relevant documents from the IAEA, WHO or other European Council Directives were consulted to formulate questions for the assessment. Coders received specific training to ensure that the same method was used when analysing the data. All aspects were coded by two independent coders. In case of different data extracted and different codes, a third (master) coder discussed the differences and decided on the final data extracted (agreed data). Thirdly, the findings from the legal document content analysis were discussed with representatives in each country through group interviews, which were conducted online due to the COVID-19 pandemic, between October 2021 and March 2022. These group interviews (between 2 and 15 people from the specific country) were conducted to validate the information as well as to respond to and clarify any missing information related to mitigation. During the interviews, one of the 14 elements in Annex XVIII that underwent assessment pertained to “reviews of the action plan”. The guiding questions were designed to address both (a) the strategy development phase for the RAP and (b) the implementation phase of the RAP, as follows:
Strategy:
Does the RAP define or include information regarding:
  • Schedules/frequency of the review of the RAP?
  • Criteria to be met on how the plan is reviewed (e.g., cost, time scales, quality, scope, benefits, risks)?
  • Who is/are the reviewer/s of RAP?
Implementation phase:
How does your country implement reviews in practice:
  • When was it undertaken?
  • Which criteria are used for the review (e.g., cost, time scales, quality, scope, benefits, risks)?
  • How do they review results?
  • Who was/were the reviewer/s?
Furthermore, the same guiding question, “Have you considered any indicators to measure the effectiveness of this element?”, was formulated at the end of each of the 15 elements reviewed (14 elements listed in Annex XVIII of the BSS and to be considered in the RAP strategy and education and training as an additional element considered relevant by the EU-RAP team, provided in Appendix A). Notes from the interviews were sent back to all representatives for verification and additional feedback.
Fourthly, four regional workshops were held to examine similarities and differences in the approach followed to evaluate RAPs and the type of indicators used. The main focal points at the workshops included: (a) Would it be feasible to have a set of common criteria for all EU MS to review the RAP or should these criteria be country specific? (b) Reflection on the advantages and disadvantages of the owner as the reviewer. The four workshops were conducted between October 2021 and March 2022. Finally, the overall results were discussed, verified and compared at a final workshop in Brussels, Belgium, with 50 participants from various EU countries and the United Kingdom in September 2022. The workshop covered topics such as ‘Who, when and what to review?’ and ‘Is a set of common indicators for European MS and the UK appropriate?’.

4. Results

As of May 2023, all EU MS and the UK, except Italy and Spain, had approved their RAPs. A few countries in Europe have already a set of criteria or indicators which facilitate the review of their national radon action plans, e.g., Belgium, France, Ireland, and Portugal. The review of RAPs is mostly based on the degree of completion of the actions planned in the RAPs. Few countries have defined indicators helping assessment of their RAP’s effectiveness, which may include:
-
Number of measurements conducted in dwellings and workplaces annually (e.g., Belgium);
-
Number of awareness-raising activities (e.g., Slovenia);
-
Share of remediated buildings reported (e.g., Slovenia) or annual number of remedial actions reported (e.g., Belgium);
-
Assessment of the cost-effectiveness of the interventions (e.g., Ireland) or effectiveness of remedial actions reported (e.g., Belgium);
-
Findings of the annual inspections programme (e.g., Belgium);
-
Number of courses held and attendance at radon prevention training (e.g., Ireland).
Several countries are working to define effectiveness indicators in the short and long term (e.g., Austria, Germany). One of the measures included in the RAP in Germany includes the need to develop and identify short and long-term indicators to evaluate radon protection measures. The plan states that “short and long-term review criteria to evaluate the success of the measures and targets for protection against radon in Germany envisaged under the RAP and radiation protection legislation shall be set out. Review criteria are to be developed in the form of measurable indicators. These indicators shall facilitate a review of target achievement of measures before an update of the radon action plan” foreseen approximately in 2028.
However, there is not yet a common set of criteria or indicators to assess the effectiveness of the different elements of the RAP. Bochicchio et al. [7] summarise the activities undertaken by Heads of European Radiological Protection Competent Authorities (HERCA) on effectiveness indicators. The HERCA working group on Natural Radiation Sources decided at the second workshop on national RAPs held in June 2022 that “a list of indicators is useful, but selection and applications depend on national circumstances; the need for description of which input data are required was identified. HERCA will not endorse a harmonised list of indicators that must be used as these may be quite different depending on countries’ prevailing circumstances, available resources, etc. HERCA representatives concluded that, at the moment, no need for a harmonised European list is foreseen. Instead, the exchange about indicators will be continued in coming meetings” [8], p. 5.
During the four EU-RAP regional workshops, the interest in establishing a set of indicators to evaluate the RAPs was raised. The need to recognise the differences in the context of RAPs and incorporate country specificities was also highlighted. For some participants, the guiding questions used in the EU-RAP project to assess the implementation phase for each of the 14 items defined in Annex XVIII of the Council Directive 2013/59/Euratom and education and training proved to be a useful mechanism to help countries evaluate the effectiveness of the actions included in the corresponding RAP.
The schedule to review RAPs varies widely among countries and ranges from 2 to 10 years. In some cases, RAPs do not specify a review schedule, and the interviewees indicated that the reviews are conducted when deemed necessary. This raises the question of what criteria define this need and who is responsible for signalling it. Typically, the responsible organisation for RAP development also serves as the reviewer. When this is not the case, there may be undefined reviewers, multiple organisations involved in the RAP might share or decide on the reviewing responsibility or independent experts may be appointed as reviewers (e.g., Greece).
Table 2 summarises who is the reviewer of the RAP, the schedule and the criteria for the review for each country. The specific indicators used in France, Ireland and Portugal are described in detail below.
In the following section, current assessment practices and indicators in various European countries are presented in more detail. Focus is put on those countries which have defined explicit indicators for evaluating their RAPs.

4.1. Indicators in France

In France, a system of specific indicators has been put into place to evaluate the effectiveness of the national strategy implemented under the RAP [9] which aims to evaluate the effectiveness of the RAP on a yearly basis and in the long-term. The indicators, shown in Table 3, were chosen for their pertinence and the available data enabling them to be monitored. Measuring the health impact via the change in the number of radon-induced lung cancers can only be evaluated over the long term. Similarly, data on the average indoor radon concentration in dwellings, workplaces and buildings open to the public, reflecting the exposure of the population, are only available on a long-term basis. This requires the determination of intermediate indicators allowing indirect evaluation of the reduction in exposure. At present, the aim is to monitor the implementation of the regulations per sector: general public, workplaces and buildings open to the public. These indicators will ultimately be monitored over the long term.
The review of the RAP is foreseen every 4 years, and the first assessment will be published in 2025. The assessment is published online. A pilot committee assesses each action and shares the results with the steering committee.

4.2. Indicators in Ireland

The review of the RAP was undertaken on a yearly basis in the past and is now every 2.5 years. The reviewer is a coordination group led by the Environmental Protection Agency (EPA Ireland). There are two types of indicators used [11]:
-
Leading indicators: These give a real-time measure of progress towards reducing exposure. These indicators can be used as reliable evidence that the long-term objective will be achieved. These indicators include the number of domestic radon tests; number of radon tests linked to conveyancing; remediation rate; rate of successful outcomes for those who remediate; number of courses held and attendance at remediation training; number of businesses that include radon in Health and Safety assessment and website hits.
-
Lagging indicators: These complement the leading indicators and provide information that may not be sufficiently timely to helpfully direct ongoing actions. These indicators include population-weighted national average indoor radon concentration; geographically weighted national average indoor radon concentration and radon awareness levels.
The criteria for the review are the status of each action; the impact of the measures taken to date; the likely effectiveness of the strategy in the longer term in reducing the risk from radon; an updated assessment of the cost-effectiveness of the interventions recommended in the strategy; review of stakeholder experience of the strategy; lessons learned and outstanding issues; and identification of further actions appropriate at that time.

4.3. Indicators in Portugal

In Portugal, the Environmental Protection Agency (APA) will review the RAP every 5 years. To support evaluation, a set of metrics consisting of two types of indicators are considered: (1) core or efficiency indicators, which refer to the achievement of the measures within the stipulated timeframe; (2) secondary or effectiveness indicators (these indicators are complementary to the core indicators that provide evidence that the long-term objective will be achieved). A private company linked to the university was appointed to help develop the matrix of indicators to evaluate the RAP. This matrix was then reviewed by several institutions.
The criteria and secondary indicators in the RAP in Portugal [12] relate to the following three dimensions:
(a)
Radon exposure of the population: it assesses the contribution of the RAP in reducing the occurrence of adverse effects on human health from long-term exposure to radon (Table 4)
-
Health risks—assesses the risks to which the population is exposed through an epidemiological study.
-
Workers’ exposure—assesses the mechanisms for managing radon in workplaces and the protection of workers.
-
Demographic structure of the population exposed to radon—assesses the age structure of the population, the class, gender and geographical distribution of the population exposed to radon.
(b)
Quality of the building stock: it assesses the contribution of the RAP in improving the characteristics of the building stock (housing and workplaces) for radon protection, both in the construction of new buildings (preventive measures) and in existing buildings (remedial measures) (Table 5).
-
Buildings—assesses the distribution of buildings, their age of construction, and the existence of construction features (heating, isolation).
-
Constructive solutions—evaluate existing regulations and standards in relation to the constructive guidelines.
-
Housing stock costs—evaluates the costs of housing stock real estate with preventive measures in place.
-
Energy efficiency—evaluates the relationship between saving measures emissions that are in place and indoor air quality.
(c)
Governance: it assesses the level of articulation and capacity development of the entities involved in radon management (Table 6).
-
Institutional articulation—evaluates how the existing institutional articulation allows the management of radon, defines responsibilities, defines competencies in the management of ionising radiation and if there are financial resources for the implementation of the plan.
-
Technical skills—assesses the existing mechanisms for the technical capacity of actors involved in radon management, namely professionals from public institutions.
-
Accreditation of measurement and mitigation services—assesses the levels of standardisation/accreditation of existing service providers and certification of building materials.
-
Awareness raising among society and stakeholders—evaluates how the plan contributes to disseminating information and raising awareness among the population and stakeholders.
While the list of countries which have developed specific indicators is currently not extensive, it might serve as inspiration for other countries to further develop their RAP reviews. Additional inspiration might also be found in the EU-RAP project itself, which has, as described above, conducted an extensive review of current RAP development and implementation across EU member states and the UK.

4.4. The EU-RAP Methodology

The EU-RAP study utilised and examined a list of guiding questions as part of a systematic and standardised assessment approach to evaluate the efficacy of RAP strategies and their implementation. The guiding questions for each of the 15 assessed elements are listed in Appendix A.

5. Discussion

This study presents guiding questions aimed at assessing the strategy and its implementation for each element outlined in national RAPs, as mandated by the EU Directive. Additionally, it includes supplementary questions pertaining to education and training aspects, as shown in Appendix A.
The study findings reveal that while approximately half of the EU Member States have established a set of indicators in their RAPs to assess the effectiveness of the included actions, only a few countries have conducted evaluations of their RAPs. Furthermore, these evaluations were limited to specific elements, lacking clear indicators for each element. We also observed a lack of indicators connecting indoor air quality and national programmes focused on reducing energy consumption in buildings, conducting thermal retrofitting and maintaining indoor air quality in both dwellings and workplaces. Similar to the case of smoking cessation programmes, the absence of robust connections between RAPs and initiatives for air quality and energy efficiency programmes could represent a missed opportunity.
Completeness of the actions is the most common criterion to review the RAPs. Annual follow-ups of the progress of the tasks in the RAPs (in addition to reviews) are foreseen in most countries. Since concluding this study at the end of 2022, countries have updated their RAPs, while the data remain valid.
This paper has presented an overview of the review characteristics, including the reviewer, schedule and criteria for all 27 EU MS and the UK and has provided the detailed indicators included in the RAPs of France, Ireland and Portugal. The article proposes a set of questions to evaluate the effectiveness of RAP strategies and their implementation. When asked in the regional workshops whether it would be feasible to have a set of common criteria for all EU MS, most countries agreed that it would be useful to set some common goals and would urge countries to critically evaluate their RAPs. Nevertheless, any attempt to homogenise indicators is challenging—and sometimes undesirable–due to the different stages of implementation of RAPs, the contextual, cultural and geographic differences and the specific actions set in the different RAPs. Overall, two types of criteria could be used to assess the effectiveness of RAPs: a common set of criteria for all EU MS and country-specific criteria.
In this study, we observed a lack of indicators related to smoking cessation and the absence of connections between radon exposure and anti-smoking campaigns in the prevention of radon-induced lung cancers. This lack of indicators and connections could be a missed opportunity to integrate radon exposure information with anti-smoking initiatives to prevent lung cancers.
The purpose of the evaluation is to make a judgement about the level of implementation of RAPs, to improve their effectiveness and/or to inform programming decisions. The fact that in most countries the owner is the reviewer of the RAP has advantages since it is the organisation which has the information and knows better about the progress made and the actions achieved. Nevertheless, external independent evaluators and/or peer reviews could definitely aid and complement the evaluation.
A common set of indicators to evaluate the effectiveness of RAPs would be of benefit to the owners of RAPs and to cross-national organisations, like HERCA. Obviously, the country context (e.g., climate, geology, building practices, economic situation, prevailing country-specific radon risks, etc.) should be taken into account when using and comparing these indicators. A set of guiding questions for the implementation phase as the one proposed in the EU-RAP study proved to be a useful mechanism to help countries evaluate the effectiveness of the actions included in the RAP. Ultimately, RAPs should serve to improve public health by reducing radon-induced lung cancer and in this regard, indicators showing the level of smoking decline and the uptake of radon testing and mitigation are key to evaluating the effectiveness of RAPs.

6. Conclusions

Overall, the research highlights the different practices undertaken by authorities in European countries to review RAPs. Our results suggest that a common understanding of the scope and the purpose of the reviews of RAPs could be useful for EU MS. Whilst the evaluation of the RAPs is nationally based, a European methodology such as the one developed by EU-RAP which can be adapted to the national circumstances would be particularly important and would urge authorities to take a common approach to assess effectiveness. Sharing information on indicators and ways to evaluate RAPs is extremely beneficial for national authorities as well as cross-national organisations such as HERCA.
Lessons learned from this analysis include:
-
Indicators for assessing the effectiveness of radon actions may refer to the level of achievement of the measure within a stipulated timeframe or to the long-term objective.
-
Many countries currently lack specific indicators to assess their RAP, and a common set of indicators could be helpful in this regard. This common set should, however, be developed and used taking into account contextual differences.
-
The utilisation of a set of questions to assess the effectiveness of RAP strategies and their implementation has proven to be a valuable tool.

Author Contributions

Conceptualization, M.M, T.P., K.N.R. and I.F.; methodology, T.P., I.F.; K.N.R. and M.M.; writing—original draft preparation, M.M.; formal analysis, T.P; M.M.; K.N.R. and R.G.; writing—review and editing, T.P. and R.G.; visualization, M.M.; supervision, T.P.; project administration, T.P. All authors have read and agreed to the published version of the manuscript.

Funding

This project has received funding from the EU-RAP study under contract ENER/2020/NUCL/SI2.837814 (“Review and evaluation of national radon action plans established in EU Member States according to the requirements in Council Directive 2013/59/Euratom—the BSS Directive – focussing on the practical implementation of the actions defined in these action plans”). Part of the analysis for this study has been supported by the Euratom research and training programme 2019–2020 RadoNorm under grant agreement No 900009.

Institutional Review Board Statement

The European Code of Conduct for Research Integrity and Research Ethics in Ethnography/Anthropology were applied to this research. The informed consent, project information and questionnaire were reviewed by the EU-RAP reference group members. The RadoNorm ethical committee advised on specific aspects of this research.

Informed Consent Statement

Informed consent was obtained from all subjects involved in the study.

Data Availability Statement

The data that support the findings of this study are available from the corresponding author upon request.

Acknowledgments

We would like to express our sincere thanks to the EU-RAP reference group members and responsible authorities for radon risk management in all EU Member States and the UK for their valuable participation in surveys, interviews and workshops. Their contributions were invaluable to the success of this project.

Conflicts of Interest

Meritxell Martell is affiliated with “Merience”. The remaining authors declare that there are no conflict of interest.

Appendix A. EU-RAP Protocol for the Analysis EU-RAP Protocol for Analysis in Accordance with Legal Requirements Outlined in Annex XVIII

(1)
Strategy for conducting surveys of indoor radon concentrations or soil gas concentrations for the purpose of estimating the distribution of indoor radon concentrations, for the management of measurement data and for the establishment of other relevant parameters (such as soil and rock types, permeability and radium-226 content of rock or soil). Annex XVIII (1)
Additional document used for guiding questions: [13,14,15].
Strategy
Does the RAP define or include information regarding:
-
The strategy for conducting surveys of indoor radon concentration for the purpose of estimating distribution of indoor radon concentration?
-
The strategy for conducting surveys of soil gas concentration for the purpose of estimating distribution of indoor radon concentration?
-
The strategy for management of measurement data?
-
The strategy for establishment of other relevant parameters allowing to estimate distribution of indoor radon concentration?
Implementation
Has the country implemented:
-
A representative survey of indoor radon concentration?
-
Surveys of indoor radon concentration (local/national)?
-
Surveys of soil gas measurement?
-
Surveys of other parameters relevant to radon indoors measurement?
-
Measured data management (national radon database)?
-
Or considered any indicators to measure the effectiveness of this element?
(2)
Approach, data and criteria used for the delineation of areas or for the definition of other parameters that can be used as specific indicators of situations with potentially high exposure to radon. Data and for the establishment of other relevant parameters (such as soil and rock types, permeability and radium-226 content of rock or soil). Annex XVIII (2)
Additional document used for guiding questions: Article 54, 103(3) [5]
Strategy
Does the RAP define or include information regarding:
-
The approach used for delineation of areas with potentially high exposure to radon?
-
The data used for the delineation of areas with potentially high exposure to radon?
-
The criteria used for the delineation of areas with potentially high exposure to radon?
-
The approach used for the definition of other parameters (other than delineation of The radon-prone areas) used as specific indicators of situations with potentially high exposure?
-
The data used for the definition of other parameters (other than delineation of the radon-prone areas) used as specific indicators of situations with potentially high exposure?
-
The criteria used for the definition of other parameters (other than delineation of the radon-prone areas) used as specific indicators of situations with potentially high exposure?
Implementation
Has the country implemented in practice:
-
The existence of areas with potentially high exposure to radon in the country?
-
The special regime in these areas?
-
Or considered any indicators to measure the effectiveness of this element?
(3)
Identification of types of workplaces and buildings with public access such as schools, underground workplaces, and those in certain areas, where measurements are required, on the basis of a risk assessment, considering for instance occupancy hours. Annex XVIII (3)
Additional document used for guiding questions: Article 54 [5,16]
Strategy
Does the RAP define or include information regarding:
-
The identification of types of workplaces where radon measurements are required?
-
The identification of buildings with public access where radon measurements are required?
-
The identification of schools where radon measurements are required?
Implementation
Has the country implemented:
-
Recommendations of/requirements for workplace measurements?
-
Recommendations of/requirements for buildings with public access (except schools) measurements?
-
Recommendations of/requirements for schools’ measurements?
-
A definition of or specific classification for underground workplaces?
-
Any actions after identifying high levels of radon at the workplace (before or after remediation)?
-
Or considered the need for specific arrangements or advice to assess the radon risk to those working from home? If yes, can you provide a link to where the advice is published or communicated? Times?
-
Or considered any indicators to measure the effectiveness of this element?
(4)
Reference levels for dwellings and workplaces. The basis for the establishment of reference levels for dwellings and workplaces. If applicable, the basis for the establishment of different reference levels for different uses of buildings (dwellings, buildings with public access, workplaces) as well as for existing and new buildings. Annex XVIII (4)
Additional document used for guiding questions: Articles 74 and 54 [1,5]
Strategy
Does the RAP define or include information regarding:
-
The basis for the establishment of reference levels for dwellings and/or workplaces (including buildings with public access)?
-
The basis for the establishment of supporting types of levels, e.g., target level, action level, limit, etc? And how are these defined?
Implementation
Has the country implemented:
-
The national reference level for dwellings?
-
The national reference level for workplaces?
-
The national reference level for buildings with public access?
-
The national reference level for existing/new dwellings?
-
The supporting types of levels, e.g., target level, action level, limit, etc?
-
Specific arrangements for low occupancy workplaces?
-
Any evaluation or modification of the reference levels?
-
Or plan to implement the new International Commission on Radiological Protection (ICRP) dose conversion factors?
Or considered any indicators to measure the effectiveness of reference levels?
(5)
Assignment of responsibilities (governmental and non-governmental), coordination mechanisms and available resources for implementation of the action plan. Annex XVIII (5)
Additional document used for guiding questions: [17]
Strategy
Does the RAP define or include information regarding:
-
Owner of the strategy (acts as the sponsor, chairs the steering committee, accepts the objectives, mobilises resources, provides leadership and strategic direction, monitors progress regularly)?
-
Mechanisms for collaboration (working groups, commissions, etc.) among different organisations, authorities, etc., for the development of the strategy?
-
If so, which organisations or authorities are part of this mechanism?
Implementation
Has the country implemented:
-
Mechanisms for collaboration (working groups, commissions, interministerial committees, specific agreement, etc.) among different organisations, authorities, etc. for the follow-up or implementation of the strategy?
-
If so, which organisations or authorities are part of this mechanism?
-
How are the roles and responsibilities of the different organisations involved in the implementation of the strategy defined?
-
Human or technical resources for the implementation of the action plan?
(6)
Strategy for reducing radon exposure in dwellings and for giving priority to addressing the situations identified under point 2. Annex XVIII (6)
Additional document used for guiding questions: Article 74 (2) [5,15,16]
Strategy
Does the RAP define or include information regarding:
-
A strategy for reducing radon exposure in dwellings?
-
A strategy for giving priority to addressing the situations identified under point 2 (i.e., areas and/or situations with potentially high exposure to radon)?
Implementation
Has the country implemented:
-
Actions related to radon priority areas being realised?
-
Requirements on mitigations defined in radon priority areas?
-
Requirements on preventive measures defined in radon priority areas?
-
Actions related to radon priority areas being realised?
-
Or considered any indicators to measure the effectiveness of reducing radon exposure?
(7)
Post-construction remedial action. Strategy for facilitating post-construction remedial action. Annex XVIII (7)
Additional document used for guiding questions: Article 74 [1,5,15,16]
Strategy
Does the RAP define or include information regarding:
-
A strategy for post-construction remedial action execution?
-
Planned procedures facilitating remedial actions in existing buildings?
Implementation
Has the country implemented:
-
Existing policy/policies for facilitating post-construction remedial action?
-
Existing methods and tools (e.g., building code) for facilitating post-construction remedial action?
-
Or considered any indicators to measure the effectiveness of this element?
(8)
New buildings and building material. Strategy, including methods and tools, for preventing radon ingress in new buildings, including identification of building materials with significant radon exhalation. Annex XVIII (8)
Additional document used for guiding questions: Article 103 (2) [5,15,16]
Strategy
Does the RAP define or include information regarding:
-
A strategy for preventing radon ingress into new buildings?
-
Methods and tools for preventing radon ingress into new buildings?
-
Information about building material with significant radon exhalation (e.g., identification, dealing with)?
Implementation
Has the country implemented:
-
Existing procedures/legislation for preventing radon ingress into new buildings?
-
Existing methods and tools (e.g., building code) for preventing radon ingress into new buildings?
-
Existing methods and tools for dealing with building material with significant radon exhalation?
-
Any measurements in new buildings? Any measurements when there is a change in ownership of a building?
-
Any measure to assign responsibility in case of potential problems due to radon in new buildings?
-
Or considered any indicators to measure the effectiveness of this element?
(9)
Reviews of the action plan. Schedules for reviews of the action plan. Annex XVIII
Additional document used for guiding questions: [18]
Strategy
Does the RAP define or include information regarding:
-
Schedules/frequency of the review of the RAP?
-
Criteria to be met on how the plan is reviewed (e.g., cost, time scales, quality, scope, benefits, risks)?
-
Who is/are the reviewer/s of RAP?
Implementation
Has the country implemented a review of the action plan and if so:
-
When was it undertaken?
-
Criteria used for the review (e.g., cost, time scales, quality, scope, benefits, risks)?
-
Review results?
-
Who was/were the reviewer/s?
(10)
Strategy for communication and stakeholder engagement to increase public awareness and inform local decision makers, employers and employees of the risks of radon, including in relation to smoking. Annex XVIII (10)
Communication and engagement questions relate to the requirement in Article 102 of BSS which states: “Member States shall provide as appropriate for the involvement of stakeholders in decisions regarding the development and implementation of strategies managing exposure situations”.
Additional document used for guiding questions: [19]
The General Data Protection Regulation (EU) 2016/679 (GDPR) is a regulation in EU law on data protection and privacy in the European Union (EU) and the European Economic Area (EEA).
Strategy
Does the RAP define or include information regarding:
-
Communication goals and specific and measurable objectives to increase public awareness and inform of the risks of radon?
-
Relevant target groups (local decision makers, employers and employees among others)?
-
Messages related to the risks of radon, including in relation to smoking?
-
Different channels, means and events to communicate (one-way, like press releases, Websites, manuals, newsletters, etc., or two-way, like group discussions, meetings, workshops, conferences, etc.)?
-
Ways of measuring communication efforts and impact (indicators such as number of articles in the press, number of people asking for more information, website visits, increased knowledge, behavioural change, etc.)?
-
Resources to be allocated (timeline, professional communicators involved and funding) to communication?
-
Involvement of stakeholders in decisions regarding the development of the RAP?
-
GDPR issues
Implementation
How has the country implemented the above in practice? This includes:
-
Communication goals and specific and measurable objectives previously defined to increase public awareness and inform of the risks of radon?
-
Relevant target groups (local decision makers, employers and employees among others) addressed in communication activities?
-
Messages used related to the risks of radon, including in relation to smoking?
-
Different channels, means and activities that have been used or are used to communicate (one-way, like press releases, dedicated radon websites, manuals, newsletters, etc., or two-way, like group discussions, meetings, workshops, conferences, etc.)?
-
Ways of measuring communication efforts and impact (public opinion surveys, indicators such as number of articles in the press, number of people asking for more information, website visits, etc.)?
-
Resources allocated (timeline, professional communicators involved and funding) to communication?
-
Involvement of stakeholders in decisions regarding the implementation of the RAP?
-
Collaboration with professional communicators (e.g., marketing companies) to increase awareness?
-
GDPR issues
(11)
Methods and tools for measurements and remedial measures. Guidance on methods and tools for measurements and remedial measures. Criteria for the accreditation of measurement and remediation services shall also be considered. Annex XVIII (11)
Additional document used for guiding questions: [1,15,16]
Strategy
Does the RAP include information on:
-
Guidance on methods and tools for measurement of (indoor) radon?
-
Guidance on methods and tools for remedial measures?
-
Criteria for accreditation/licensing of measurement services?
-
Criteria for accreditation/licensing of remediation services?
Implementation
Does the country have an:
-
Existing measurement protocol for radon measurement in dwellings?
-
Existing measurement protocol for radon measurement at workplaces?
-
Existing measurement protocol for assessment of radon concentration in water?
-
Existing measurement protocol for mass activity concentration of natural radionuclides in building material?
-
Existing measurement protocol for radon exhalation from building material?
-
Existing accreditation/licensing system of measurement services?
-
Existing accreditation/licensing system of remedial services?
-
Does the country consider new protocols or accreditations?
(12)
Financial support for radon surveys and for remedial measures, in particular for private dwellings with very high radon concentrations. Annex XVIII (12)
Additional document used for guiding questions: [20]
Strategy
Does the RAP include information on:
-
Estimated budget allocated (total and %) to conduct radon surveys? If so, are there eligibility criteria?
-
Are private dwellings with very high radon concentrations mentioned specifically?
-
Estimated budget allocated (total and %) to remedial actions? If so, are there eligibility criteria?
-
Are private dwellings with very high radon concentrations mentioned specifically?
Implementation
-
How is the financial burden shared among stakeholders?
-
How is the financial burden divided into public and private buildings?
-
What are the average remediation costs for standard dwellings?
-
What are the average remediation costs for standard large buildings?
(13)
Long-term goals in terms of reducing lung cancer risk attributable to radon exposure (for smokers and non-smokers). Annex XVIII (13)
Additional document used for guiding questions: Action 17 [4]
Strategy
Does the RAP define or include information regarding:
-
the reduction in lung cancer expected?
-
the number of dwellings where radon exposure will be reduced?
Implementation
-
Does the country monitor the reduction in lung cancer?
-
Does the country evaluate the number of dwellings where radon exposure has been reduced?
(14)
Other related issues and corresponding programmes where appropriate, consideration of other related issues and corresponding programmes such as programmes on energy saving and indoor air quality. Annex XVIII (14)
Additional document used for guiding questions: Action 17 [3]
Strategy
To what extent does the RAP define or include information regarding links planned with:
-
Energy-saving programmes or issues?
-
Indoor air quality?
-
Cancer programme?
-
Anti-smoking programme?
-
Lung cancer screening?
Implementation
How is the connection to the following programmes or issues implemented (e.g., actions, campaigns, activities, etc.):
-
Energy-saving programmes or issues?
-
Indoor air quality?
-
Cancer programme?
-
Anti-smoking programme?
-
Lung cancer screening?
(15)
Education and training programmes
Additional document used for guiding questions: consultation with the European Training and Education in Radiation Protection Platform (EUTERP) Foundation Board members
Strategy
Does the RAP plan future activities/work/approaches regarding:
-
Training courses or training plans for professionals and workers in the construction industry (e.g., engineers, architects, those workers executing the building work, etc.)?
-
Training courses or training plans for professionals who carry out radon measurements?
-
Training courses for workers in potentially affected workplaces?
-
Training courses or training plans for those with responsibility for radon (e.g., competent authorities, local authorities)?
-
The inclusion of radon in schools?
-
The inclusion of radon in relevant degree programmes at higher education institutions?
-
Accreditation of radon courses?
-
Training materials or training tools and applications On radon?
Implementation
How has the country implemented:
-
Training courses or training plans for professionals and workers in the construction industry (e.g., engineers, architects, those workers executing the building work, etc.)?
-
Training courses for workers in potentially affected workplaces?
-
Training courses or training plans for professionals who carry out radon measurements?
-
Training courses or training plans for those with responsibility for radon (e.g., competent authorities, local authorities)?
-
The inclusion of radon in schools or higher education institutions as part of the curricula?
-
Accreditation of radon courses?
-
Training materials or training tools and applications on radon?

References

  1. World Health Organization. WHO Handbook on Indoor Radon: A Public Health Perspective; World Health Organization: Geneva, Switzerland, 2009. [Google Scholar]
  2. Radon. Available online: https://www.who.int/news-room/fact-sheets/detail/radon-and-health (accessed on 28 November 2023).
  3. GBD 2019 Risk Factors Collaborators. Global burden of 87 risk factors in 204 countries and territories, 1990–2019: A systematic analysis for the Global Burden of Disease Study 2019. Lancet 2020, 396, 1223–1249. [Google Scholar] [CrossRef] [PubMed]
  4. European Commission. Europe’s Beating Cancer Plan; European Commission: Brussels, Belgium, 2021. [Google Scholar]
  5. European Commission; Food and Agriculture Organization of the United Nations; International Atomic Energy Agency; International Labour Organization; OECD Nuclear Energy Agency; Pan American Health Organization; United Nations Environment Programme; World Health Organization. Radiation Protection and Safety of Radiation Sources: International Basic Safety Standards; IAEA Safety Standards Series No. GSR Part 3; IAEA: Vienna, Austria, 2014. [Google Scholar]
  6. European Commission. Council Directive 2013/59/Euratom of 5 December 2013 Laying Down Basic Safety Standards for Protection against the Dangers Arising from Exposure to Ionising Radiation, and Repealing Directives 89/618/Euratom, 90/641/Euratom, 96/29/Euratom, 97/43/Euratom and 2003/122/Euratom; Official Journal of the European Union L 13: Brussels, Belgium, 2014. [Google Scholar]
  7. Bochicchio, F.; Fenton, D.; Fonseca, H.; García-Talavera, M.; Jaunet, P.; Long, S.; Olsen, B.; Popic, J.M.; Ringer, W. National Radon Action Plans in Europe and Need of Effectiveness Indicators: An Overview of HERCA Activities. Int. J. Environ. Res. Public Health 2022, 19, 4114. [Google Scholar] [CrossRef] [PubMed]
  8. HERCA. Second HERCA Workshop on National Radon Action Plans. In Proceedings of the HERCA Working Group on Natural Radiation Sources, Heads of European Radiological Protection Competent Authorities, Lisbon, Portugal, 21–23 June 2022. [Google Scholar]
  9. ASN. National Action Plan 2020–2024 for the Management of the Radon Risk; French Nuclear Safety Regulator ASN: Montrouge, France, 2020. [Google Scholar]
  10. ISO 11665-8:2019; Measurement of Radioactivity in the Environment. Air: Radon-222. Part 8: Methodologies for Initial and Additional Investigations in Buildings. ISO: Geneva, Switzerland, 2019. Available online: https://www.iso.org/standard/76012.html (accessed on 28 November 2023).
  11. EPA. National Radon Control Strategy. Phase 2: 2019–2024; Report of the National Radon Control Strategy Coordination Group; Environmental Protection Agency: Wexford, Ireland, 2019.
  12. APA. National Plan for Radon; Portuguese Environment Agency: Amadora, Portugal, 2022. [Google Scholar]
  13. IAEA. Design and Conduct of Indoor Radon Surveys, Safety Report Series No 98; International Atomic Energy Agency: Vienna, Austria, 2019. [Google Scholar]
  14. IAEA. Protection of the Public against Exposure Indoors due to Radon and Other Natural Sources of Radiation; Safety Standard Series No SSG-32; International Atomic Energy Agency: Vienna, Austria, 2018. [Google Scholar]
  15. IAEA. Flowchart for the Development of a National Radon Action Plan; International Atomic Energy Agency: Vienna, Austria. Available online: https://www.iaea.org/sites/default/files/18/03/final-radon.pdf (accessed on 20 September 2023).
  16. IAEA. Occupational Radiation Protection, General Safety Guide GSG-7; International Atomic Energy Agency: Vienna, Austria, 2018. [Google Scholar]
  17. European Commission. PM2 Project Management Methodology; European Commission: Brussels, Belgium, 2020; Available online: https://ec.europa.eu/isa2/solutions/open-pm2_en (accessed on 20 September 2023).
  18. Axelos. Managing Successful Project with PRINCE2; Axelos Ltd.: London, UK, 2017. [Google Scholar]
  19. European Commission. Horizon 2020. Communicating EU Research and Innovation Guidance for Project Participants. 2014. Available online: https://ec.europa.eu/research/participants/data/ref/h2020/other/gm/h2020-guide-comm_en.pdf (accessed on 20 September 2023).
  20. European Commission. Financial Guidelines for Applicants. Action Grants; European Commission: Brussels, Belgium, 2019. [Google Scholar]
Table 1. Reference levels, dose coefficient, approach, data and criteria used for the delineation of RPA in EU MS and the UK.
Table 1. Reference levels, dose coefficient, approach, data and criteria used for the delineation of RPA in EU MS and the UK.
CountryReference LevelDose CoefficientRPA DefinedData Used for Delineation of RPACriteria for Delineation
Austria300 Bq/m3ICRP137YesMeasured indoor levels combined with certain user behaviour/building characteristicsModels the mean predicted radon concentration in a municipality
Belgium300 Bq/m3ICRP137YesIndoor measurements in dwellingsMunicipalities where the probability of exceeding the RL of 300 Bq/m³ is above 5%
Bulgaria 300 Bq/m3ICRP137In progressIndoor radon levelsExceedance of RL
Croatia300 Bq/m3/Not finishedRadon concentrations in soil10% of buildings above RL
Cyprus300 Bq/m3ICRP137Not planned due to prevailing geological situation
Czech
Republic
300 Bq/m3ICRP137YesState of radon concentration indoors and in the soil, geological parameters of subsoil, age of building stock30% of buildings above RL
Denmark100 Bq/m3 (except new build)ICRP137YesSpecific indicators for situations with potentially high radon exposure are of a constructional or geological nature, including age of construction, type of building or local soil conditions
Estonia300 Bq/m3
(pre)schools: 200 Bq/m3
ICRP137YesRadon concentration in approx. 13,000 dwellings and a methodology that incorporates geological and environmental dose rate informationOver 10% of dwellings on the ground floor above 300 Bq/m3. For new dwellings: list of municipalities drawn up into three groups (no risk, medium risk and potentially high exposure risk)
Finland300 Bq/m3
New buildings: 200 Bq/m3
ICRP137NoFinland’s residential areas are not divided into different radon risk areas since on the whole territory high radon levels can be measured
France300 Bq/m3New order ICRP137YesCapacity of the soil to emit radon, geological maps Type of bedrock and cracks in the soil
Germany300 Bq/m3ICRP65 but 137 under discussionYesLocal distribution of radon activity concentration in the soil gas, soil gas permeability, radon activity concentration indoors, local data of individual federal states such as soil and rock typeCriteria laid out in the legislation: RPA where 10% of the buildings in at least 75% of the given administrative area are defined as radon risk
Greece 300 Bq/m3ICRP137In progressRadon activity concentration collected through national radon survey and
Ra-226 measurements in water and soil
‘Priority area’: geographical area in which the probability that a radon concentration exceeding the RL will be found in a single-store dwelling > 10%
Hungary 300 Bq/m3ICRP137No, some areas already knownIndoor radon from representative
radon survey and geology
Will be selected based on mapping results
IrelandWorkplaces: 300 Bq/m3
Schools, dwellings (advised): 200 Bq/m3
ICRP137 under discussionYes32,000 indoor radon measurements
(geocoded) with variables including bedrock geology, soil geology, soil
permeability and aquifer type
Logistic regression model, 10% of dwellings predicted to be above the RL
Italy 300 Bq/m3ICRP137In progressIndoor radon data in dwellings, workplaces and schools; geological map of Rn risk indoor is being developed to help regions that do not have any data to start delineationLevel of 300 Bq/m3 is exceeded in 15% or more dwellings on the ground floor
LatviaDwellings: 200 Bq/m3
300 Bq/m3
Workplaces: 400 Bq/m3
/NoThe national RAP includes the following criteria for delineation:
(1) geological situation of the administrative territory;
(2) during the radon level assessment, at least in 80% of buildings in the administrative territory the indoor radon gas level exceeds 200 Bq/m3.
Lithuania300 Bq/m3ICRP137YesIndoor measurementsArea where the average annual Rn concentration indoors exceeds 300 Bq/3 in 10 % of all buildings measured
Luxembourg300 Bq/m3ICRP137YesIndoor measurement results from more than 5000 buildings usedFraction of houses exceeding the RL indoor radon value (5% above RL)
Malta300 Bq/m3No needNot planned due to prevailing geological situation
Netherlands100 Bq/m3ICRP65 but ICRP137 under discussionNot planned due to prevailing geological situation
Poland300 Bq/m3Decision to be madeYesGeological structure, content of Ra-226 in the ground, tectonic structure, erosion zonesUranium concentration in the structures is found above 4 g/t (4 ppm), and where radon concentration in water is above 100 Bq/l
Portugal300 Bq/m3ICRP65 but ICRP137 under discussionYesGeogenic variablesLow-risk areas—RL not expected to be exceeded in > 10% of buildings; Moderate-risk areas—RL can be exceeded in > 10% of buildings; High-risk area—RL is exceeded in > 10% of buildings;
Romania300 Bq/m3ICRP137Not yetIndoor radon; method from JRC radon atlasInsignificant risk <5% of buildings above RL;
Medium risk >5% and <10% of buildings above RL; High risk >10% of buildings above RL
Slovakia300 Bq/m3ICRP137Not yetIndoor radon concentration from representative radon surveyWill be selected based on mapping results
Slovenia300 Bq/m3ICRP137YesMeasurements of indoor and in-soil gas, geological structure, historical measurements, geological compositions, Ra-226 content, soil permeability30% of buildings above RL
Spain300 Bq/m3ICRP137 YesRadon concentration in approx. 13,000 dwellings and geological and environmental dose rate informationOver 10% of dwellings on the ground floor above 300 Bq/m3. Three groups: no risk, medium risk and potentially high exposure risk
Sweden200 Bq/m3ICRP137 under discussionYesUranium content in the upper surface of the ground made by Geological Survey of Sweden (SGU), radon in soil concentration, soil permeability, soil type
UKWorkplaces: 300 Bq/m3
Dwellings: 200 Bq/m3
ICRP65YesIndoor measurement and geological features collected in databasesAt least 1% of homes are expected to be above 200 Bq/m3
Table 2. Review of RAPs: reviewer, schedule and criteria in EU MS and the UK (status in January 2023).
Table 2. Review of RAPs: reviewer, schedule and criteria in EU MS and the UK (status in January 2023).
CountryReviewer of RAPSchedule for Review of RAPCriteria for Review of RAP
AustriaFederal Ministry of Climate Action, Environment, Energy, Mobility, Innovation and Technology (in discussion with competent authorities)Every 10 years and in the event of substantial changes. Review foreseen in 2031. To be developed to identify any changes in the state of knowledge.
BelgiumFederal Agency for Nuclear Control, FANCEvery 5 yearsAnnual number of measurements performed in dwellings and workplaces.
Evolution of the statistics of the performed measurements.
Annual number of remedial actions reported.
Effectiveness of the remedial actions reported.
Findings of the annual inspection programme.
BulgariaNational Coordination Council5 years (foreseen end of 2022)Performance evaluation and cost-effectiveness analysis. Results/indicators defined for every action
CroatiaIntention to involve international experts. Feedback from EU-RAP and IAEA Technical Cooperation project would be usefulEvery 5 years, but undertaken in 2022/
CyprusNot definedWhen necessary
(potentially 2025)
/
Czech RepublicThe State Office for Nuclear Safety, SÚJBEvery 5 years
To be reviewed in 2024–2025
/
DenmarkHousing and Planning Agency initiated the review. Monitoring group consisting of representatives from different building owners, building industry partners, universities and research organisations and authoritiesRAP reviewed when completedCompletion and efficiency of the actions
EstoniaMinistry of EnvironmentEvery 2 yearsCompletion of activities planned
FinlandSteering CommitteeEvery 5 yearsAnnex I of RAP defines recommendations and responsible parties (not indicators)
FranceOversight CommitteeEvery 5 years and on a yearly basisGeneral indicators and indicators for each action to evaluate the effectiveness of the RAP.
GermanyBMUV, with consultation with federal statesAt least every 10 yearsA system of indicators being developed through a research project.
GreeceIndependent group (not yet set)Every 10 years (interim 5th-year
evaluation);
3 years revision
Effectiveness of the whole procedure is part of the deliverables and timescale.
HungaryMinistry for Human Capacities, Ministry for Innovation and Technology and Prime Minister’s OfficeEvery 4 years
To be reviewed in 2023
Objectives met; methodologies appropriate; new scientific and technical methods introduced; regulatory framework appropriate
IrelandDepartment of Environment,
Climate and Communications in
collaboration with EPA and the
National Radon Control Strategy
Coordination Group
Every 5 yearsAt the end of the 5 years, the coordination group will carry out a detailed review.
ItalyNational Radon ObservatoryAt least every 10 years (period reports every 2 years)All actions have indicators to evaluate effectiveness
LatviaMinistry of Environmental
Protection and Regional
Development
In 2030–2031 or when necessary based on the national radon action planLarge-scale measurements of radon concentration in dwellings, workplaces and public buildings will be conducted in 2030–2031, when it will be assessed whether a RAP needs to be developed.
LithuaniaRadiation Protection Centre RSCEvery 5 yearsAll actions have indicators
LuxembourgDivision of Radiation ProtectionNot fixed, but likely 2024–2025To be developed, most likely level of accomplishment of actions
MaltaRadon Working Party (RWP)Schedule for review of RAP should be defined not later than 2023.
Review in 2022.
/
PolandMinistry competent for health in cooperation with the Chief Sanitary Inspectorate. The Panel shall periodically assess the RAP.Every 4 yearsCompleteness (whether the plan covers the required areas) and validity (whether the plan requires any amendments or updates).
PortugalPortuguese Environment Agency (APA)Every 5 yearsMatrix of core/efficiency and secondary/effectiveness indicators
RomaniaInterministerial committeeEvery 5 years
(in 2023)
/
SlovakiaPublic Health Office (annual meeting with stakeholders to share information on set goals and tasks) (owner)Evaluation to be
submitted in 2024
Update for 2027–2031
Reduction in the number or % of dwellings with radon volume activity above the RL or reduction in the average volume activity of radon in residential areas and workplaces
SloveniaSlovenian Radiation Protection
Administration
Every 5 years
(next in 2024–205)
Nº of measurements of radon concentrations per year and nº of measurements looking for radon source; nº of activities related to public awareness of radon; share of successfully rehabilitated buildings
SpainMinistry of Health in cooperation with implementation committeeEvery 5 years (annual monitoring reports)Three-fold evaluation: process, outcome and structure. Indicators of execution and performance indicators.
SwedenLed by SSM. Radon Group reports on status of ongoing measures and plans to steering group.Every 5 yearsDefined based on actions proposed. Yearly timetable by the radon group.
The NetherlandsTo be determinedEvery 10 yearsTo be developed
United KingdomInitiated by Department of Health and Social Care (funding organisation) and supported by UKHSAWithin 5 years of publicationTo be developed
Table 3. Indicators in the RAP in France.
Table 3. Indicators in the RAP in France.
1Public buildings1a —Number of buildings open to the public screened, as part of the regulatory monitoring of public exposure (according to the Public Health Code).
1b —Number of buildings exceeding the reference level of 300Bq/m3.
1c —Number of buildings exceeding the threshold of 1000 Bq/m3.
1d —Number of buildings in which concentration reduction work has been carried out (the effectiveness of the reduction work has been measured).
1e —Number of buildings in which additional measurements have been carried out as part of building expertise (identification of radon sources, pathways and transfer routes/paragraph 6.2 of ISO 11665-8: 2019 [10]).
2Workplaces2a —Number of workplaces with a result exceeding the reference level of 300 Bq/m3 after concentration reduction work.
2b —Number of workers who benefit from radon exposure individual dosimetry monitoring.
2c —Number of workers who have exceeded the effective dose of 20 mSv effective dose over 12 consecutive months.
2d —Number of radiation protection advisors trained on radon.
3General public3a —Number of local information interventions on radon which follow the design of the Ministry of Health.
3b —Number of dwellings screened during local radon information operations.
3c —Perception of radon risk among the French population.
Source: Adapted from ASN [9].
Table 4. Criteria and indicators related to radon exposure of the population in Portugal.
Table 4. Criteria and indicators related to radon exposure of the population in Portugal.
CriteriaIndicators
Health risks
(1)
% of reduction in annual radon concentration
(2)
Number of prevalence of lung cancer/neoplasms due to radon
Workers’ exposure
(3)
Number of workers’ exposure to doses exceeding 6mSv
(4)
Number of protective measures
(5)
Number of workplaces tested
(6)
Number of remediated workplaces
Demographic structure of the population exposed to radon
(7)
Number and % of age structure of the population
(8)
Number and % of distribution of the population by sex
(9)
Number and % of distribution of population by susceptible areas
Source: Adapted from APA [12].
Table 5. Criteria and indicators related to the quality of the building stock in Portugal.
Table 5. Criteria and indicators related to the quality of the building stock in Portugal.
CriteriaIndicators
Buildings
(10)
Number of buildings by age of construction and materials used in construction
(11)
State of conservation of buildings
Constructive solutions
(12)
Number of building regulations and standards
Housing stock costs
(13)
Construction price m2 (€)
Energy efficiency
(14)
Number and % of buildings with energy-saving measures and radon concentrations higher than 300 Bq/m3
Source: Adapted from APA [12].
Table 6. Criteria and indicators related to governance in Portugal.
Table 6. Criteria and indicators related to governance in Portugal.
CriteriaIndicators
Institutional articulation
(15)
Organisational structure
(16)
Number of human resources
(17)
Financial Allocation/Costs (€)
(18)
Financial support for testing and mitigation (€)
Technical skills
(19)
Number of technical documents supporting radon management
(20)
Number of training/awareness-raising actions for main actors
(21)
Number of specialists in radon management
(22)
Number of radon mitigation specialists
Accreditation of measurement and mitigation services
(23)
Number of accredited/recognised services
(24)
Number of accredited/recognised companies
(25)
Number of certified materials
Awareness raising among society and stakeholders
(26)
Number of communications in the media
(27)
Number of communications directed to target audiences
(28)
Number of engagement actions for target audiences
(29)
Number of stakeholder associations for radon
Source: Adapted from APA [12].
Disclaimer/Publisher’s Note: The statements, opinions and data contained in all publications are solely those of the individual author(s) and contributor(s) and not of MDPI and/or the editor(s). MDPI and/or the editor(s) disclaim responsibility for any injury to people or property resulting from any ideas, methods, instructions or products referred to in the content.

Share and Cite

MDPI and ACS Style

Martell, M.; Perko, T.; Navrátilová Rovenská, K.; Fojtíková, I.; Geysmans, R. Evaluation of Radon Action Plans: Searching for a Systematic and Standardised Method. Int. J. Environ. Res. Public Health 2023, 20, 7128. https://doi.org/10.3390/ijerph20237128

AMA Style

Martell M, Perko T, Navrátilová Rovenská K, Fojtíková I, Geysmans R. Evaluation of Radon Action Plans: Searching for a Systematic and Standardised Method. International Journal of Environmental Research and Public Health. 2023; 20(23):7128. https://doi.org/10.3390/ijerph20237128

Chicago/Turabian Style

Martell, Meritxell, Tanja Perko, Kateřina Navrátilová Rovenská, Ivana Fojtíková, and Robbe Geysmans. 2023. "Evaluation of Radon Action Plans: Searching for a Systematic and Standardised Method" International Journal of Environmental Research and Public Health 20, no. 23: 7128. https://doi.org/10.3390/ijerph20237128

Note that from the first issue of 2016, this journal uses article numbers instead of page numbers. See further details here.

Article Metrics

Back to TopTop