Beryllium
Unresolved Phase I/II/V Inorganic Chemical Rules violation cited in 2025 (beryllium).
4 TRI facilities inside the city limits and 14 public water systems serving residents. In-city TRI releases more than doubled year over year (+104%). Toxic releases concentrations have more than doubled since 2010.
FIPS 4161200 · population 34,191 · Deschutes County
Unresolved Phase I/II/V Inorganic Chemical Rules violation cited in 2025 (beryllium).
Unresolved Arsenic Rule violation cited in 2023 (xylenes (total)).
Unresolved Phase I/II/V Inorganic Chemical Rules violation cited in 2025 (contaminant 5000).
Unresolved Nitrate/Nitrite violation cited in 2020 (carbofuran).
Showing the 4 most editorially weighted signals out of 10. Lower-severity signals fold into the chemical breakdown and history charts below.
PM2.5 annual mean (NAAQS 9 µg/m³ (annual)) concentrations are up 25% since 2010.
PM2.5 24-hour 98th percentile (NAAQS 35 µg/m³ (24-hour)) concentrations have more than doubled since 2010.
Ozone 8-hour 4th-highest daily max (NAAQS 0.070 ppm (8-hour)) concentrations are up 11% since 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 concentrations have more than doubled since 2015.
Greenhouse gases (GHGRP large emitters, through 2023) concentrations are roughly unchanged from 2010.
| Facility | Top chemical | Total releases | YoY |
|---|---|---|---|
| Senneca HoldingsSenneca Holdings | DiisocyanatesHealth riskLeading cause of occupational asthma; severe respiratory sensitizers. (OSHA) | 38k lb | — |
| Pcc Structurals INC SchlosserBerkshire Hathaway INC | Nitrate compounds (water dissociable; reportable only when in aqueous solution)Health riskDrinking-water nitrate causes methemoglobinemia ('blue-baby syndrome') in infants; EPA MCL is 10 mg/L as N. (EPA) | 26k lb | -17% |
| Nosler INC.Nosler INC | CopperHealth riskInhaled copper fumes cause metal-fume fever; chronic ingestion above EPA's 1.3 mg/L action level damages the liver. (EPA) | 2 lb | -12% |
| Mdu Resources Redmond ConcreteMdu Resources Group INC | Polycyclic aromatic compoundsHealth riskPAH class includes IARC Group 1 carcinogens (e.g., benzo[a]pyrene); long-term exposure raises cancer risk. (IARC, EPA) | 1 lb | -99% |
78 unresolved violations on the SDWIS record across utilities serving this city.
Utilities serving
Population served
Health-based · 5yr
Unresolved
| Water system | PWSID | Population served | Health-based · 5yr | Status |
|---|---|---|---|---|
| Ni-Lah-Sha Village Hoa Private | OR4101480 | 70 | 1 | UNRESOLVED |
| Desert Meadows Hoa Private | OR4101523 | 150 | 0 | UNRESOLVED |
| La Casa Mia Private | OR4100696 | 135 | 0 | UNRESOLVED |
| Green Acres Rv Park Private | OR4194214 | 135 | 0 | UNRESOLVED |
| Desert Terrace Mobile Estates Private | OR4100697 | 100 | 0 | UNRESOLVED |
| Bentwood Estates Water System Private | OR4101373 | 80 | 0 | UNRESOLVED |
Showing the 6 systems with recorded health-based or unresolved violations. 8 additional systems are in compliance with no recorded health-based violations in the past 5 years and are not individually tabulated.
A public water systemis the regulated entity, not the city. EPA's SDWIS definition covers anything serving 25+ people for 60+ days a year or with 15+ service connections — that includes municipal utilities (City of Stockton), water districts, mobile home parks operating their own wells, schools, and small private subdivisions. Each system is independently monitored. Some systems serve multiple cities; some cities are served by many systems.
Redmond, Oregon (Census place block groups): 34,191 residents. City disparity score for pm2.5 (fine particulate) sits near the reference (100). Why we surface this →
Low-income
People of color
Under age 5
Over age 64
| Indicator | Disparity score | Reading |
|---|---|---|
| PM2.5 (fine particulate) | 100 | near the reference |
| Ozone | 43 | well below the reference |
| Nitrogen dioxide (NO₂) | 60 | below the reference |
| Diesel particulate | 34 | well below the reference |
| Toxic releases (RSEI) | 3 | well below the reference |
| Traffic proximity | 38 | well below the reference |
| Lead-paint risk (pre-1960 housing) | 25 | well below the reference |
| Superfund site proximity | 0 | well below the reference |
| RMP-facility proximity | 0 | well below the reference |
| Hazardous-waste site proximity | 30 | well below the reference |
| Underground storage tanks | 36 | well below the reference |
| NPDES wastewater proximity | 10 | well below the reference |
| Drinking-water non-compliance | 0 | 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 city'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 Oregon 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.
Sources.