PM2.5 annual mean
PM2.5 annual mean in Adair County reached 9.3 µg/m³ in 2024, 3% above the EPA NAAQS of 9 µg/m³.
1 top TRI facilities tracked here. PM2.5 annual mean (NAAQS 9 µg/m³ (annual)) fell modestly year over year (-6%). PM2.5 annual mean (NAAQS 9 µg/m³ (annual)) concentrations are roughly unchanged from 2023.
FIPS 40001 · population 19,726
PM2.5 annual mean in Adair County reached 9.3 µg/m³ in 2024, 3% above the EPA NAAQS of 9 µg/m³.
Each red dot is one of the top TRI facilities. Size reflects 2024 total releases. County boundary outlined in blue.
PM2.5 annual mean (NAAQS 9 µg/m³ (annual)) concentrations are roughly unchanged from 2023.
PM2.5 24-hour 98th percentile (NAAQS 35 µg/m³ (24-hour)) concentrations are up 13% since 2023.
Ozone 8-hour 4th-highest daily max (NAAQS 0.070 ppm (8-hour)) concentrations have fallen 23% since 2011.
NO₂ annual mean (NAAQS 53 ppb (annual)) concentrations are roughly unchanged from 2011.
Single-vintage exposure modeling — EPA cadence is multi-year, so no trend line yet.
Single-vintage exposure modeling — EPA cadence is multi-year, so no trend line yet.
Single-vintage exposure modeling — EPA cadence is multi-year, so no trend line yet.
TRI air releases (5.1 fugitive + 5.2 stack) volumes here are too small to anchor a multi-year trend; YoY movement is still shown above.
TRI water releases (5.3) volumes here are too small to anchor a multi-year trend; YoY movement is still shown above.
TRI land + off-site releases volumes here are too small to anchor a multi-year trend; YoY movement is still shown above.
| Facility | City | Top chemical | Total releases | YoY |
|---|---|---|---|---|
| Abb Motors & Mechanical INC.Abb Motors & Mechanical INC | Westville | ChromiumHealth riskHexavalent chromium (Cr-VI) is an IARC Group 1 carcinogen via inhalation, causing lung cancer; trivalent chromium is far less toxic. (IARC, EPA) | 323 lb | +9% |
All block groups in Adair County County, OK: 19,726 residents. County disparity score for pm2.5 (fine particulate) sits near the reference (109). Why we surface this →
Low-income
People of color
Under age 5
Over age 64
| Indicator | Disparity score | Reading |
|---|---|---|
| PM2.5 (fine particulate) | 109 | near the reference |
| Ozone | 56 | below the reference |
| Nitrogen dioxide (NO₂) | 11 | well below the reference |
| Diesel particulate | 22 | well below the reference |
| Toxic releases (RSEI) | 28 | well below the reference |
| Traffic proximity | 11 | well below the reference |
| Lead-paint risk (pre-1960 housing) | 88 | below the reference |
| Superfund site proximity | 0 | well below the reference |
| RMP-facility proximity | 79 | below the reference |
| Hazardous-waste site proximity | 21 | well below the reference |
| Underground storage tanks | 72 | below the reference |
| NPDES wastewater proximity | 38 | well below the reference |
| Drinking-water non-compliance | 19 | well below the reference |
Source: Census ACS 2018-2022 (5-year) + USEPA-clone EJ blockgroup stats (raw indicators + EJ disparity mirror).
Modeled adult-prevalence estimates published by CDC PLACES, paired with this county's pollution and demographic context. Comparisons are ecological, not causal — pollution and disease prevalence covary at the area level, but the data does not attribute any individual's diagnosis to local exposure. How this section works →
CDC PLACES · 2025 release · BRFSS 2022-2023
CDC PLACES · 2025 release · BRFSS 2022-2023
CDC PLACES · 2025 release · BRFSS 2022-2023
CDC PLACES · 2025 release · BRFSS 2022-2023
CDC PLACES · 2025 release · BRFSS 2022-2023
PLACES uses BRFSS-modeled small-area estimates, not individual records. Crude prevalence shown above is the local rate as published; comparators are age-adjusted vs the Oklahoma mean and the US mean — both population-weighted across counties — so geographies with different age structures stay apples-to-apples. Sources: CDC PLACES · 2025 release · BRFSS 2022-2023.
Pollution trends and TRI 2024 pages for every tracked city in this county. Alphabetical.
Sources.
All sources are federal public-domain datasets under 17 USC §105. We aggregate but do not relabel; the underlying observations remain attributable to EPA.