Reduced Risk Status: |
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IPM Compatibility: |
PER WSR 2016 NOMINATION COMMENT: GOOD IPM FIT; WOULD PROVIDE A GOOD PREEMERGENCE OPTION FOR CONTROL OF A NUMBER OF GRASS AND SOME BROADLEAF SPECIES WITH MINIMAL CHANCE OF CROP INJURY AND VERY LITTLE CHANCE OF EXPOSURE TO THE HARVESTED PORTION OF THE CROP:09/16; VERY GOOD FIT: SAME: WSR
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Reasons for need: |
ANNUAL GRASSES, BROADLEAF WEEDS
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Requesting State(s): |
CA:Bari, M. ;
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PCR Use Pattern: |
1.425 LB AI/A (3 PINTS OF PRODUCT); 1 SOIL APPLIC/CROPPING SEASON; 60-90 DAY PHI; APPLY AS BROADCAST SPRAY TO FINISHED BEDS IN 50-75 GPA BY GROUND EQUIPMENT; 24-HOUR REI
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EPA Default Residue Trials: |
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IR-4 Residue Trial Plan: |
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Residue Protocol Use Pattern: |
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Efficacy/Crop Safety (E/CS) Data Required: |
NEED MORE E/CS DATA THAT MATCHES CELERY RESIDUE USE PATTERN, INCLUDING 2X EXAGGERATED RATE ON MUCK AND MINERAL SOILS:05/15; NEED ONLY CROP SAFETY DATA (AT LEAST 3 DATA POINTS ON EACH SOIL TYPE WHERE CARDOON IS GROWN [NO BRIDGING FROM CELERY DATA]; MATCH THE CELERY USE PATTERN AND COVER BOTH PRE- AND POST-TRANSPLANT TIMINGS):09/16; BASF REQUESTS AT LEAST 2 MORE TRIALS, COVERING MUCK AND MINERAL SOILS IF CARDOON IS GROWN ON BOTH TYPES:05/17; PERFORMANCE REVISION 09/17: NEED MINIMUM 6 TRIALS, CONDUCTED OVER AT LEAST 2 YRS, WITH PROWL H2O APPLIED AT REQUESTED USE PATTERN AT 0/1X/2X RATES; 1X RATE AND TIMING SHOULD BE BASED ON THE CELERY USE PATTERN:09/17
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E/CS Research Comments: |
GIVEN H+ FOR E/CS RESEARCH AT FUW:09/14
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Label Use Pattern Submitted To EPA: |
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EPA PIF Status: |
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EPA Status: |
8E8694
SUB:07/18
PROP:12/18
RULE:10/19
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EPA PRIA Date: |
11/25/19
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MRID: |
50628300
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Comments: |
CAN BE COVERED BY CELERY (PR# 10746):05/12; CELERY IS NOW SUPPORTED BY MFG, WITH SOME MINERAL SOIL CROP SAFETY DATA STILL NEEDED:09/13; CHANGED STATUS FROM NEED E/CS ONLY TO PET SUB TO EPA:07/18; USE IS ON MASTER LABEL, BUT NOT YET ON MARKETING LABEL:06/20
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International Status: |
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Archive Location: |
002619 (with PR# 10746)
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QA Archive: |
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