Reduced Risk Status: |
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IPM Compatibility: |
PER REQUEST: GOOD FIT; WILL BECOME PART OF AN INTEGRATED WEED MANAGEMENT PROGRAM; PER NE ME-TOO REQUEST, VERY GOOD IPM FIT, PARTICULARLY TO MANAGE GLYPHOSATE RESISTANT WEEDS:08/19; PER 2019 WSR NOMINATION COMMENT: ADDING A CHEMICAL WEED CONTROL OPTION FOR HEMP WILL AID IN OVERALL WEED MANAGEMENT PRACTICES INCLUDING CULTURAL AND MECHANICAL CONTROL; CHEMICAL CONTROL WILL PROVIDE ANOTHER WEED MANAGEMENT TOOL; USE OF MULTIPLE METHODS OF WEED CONTROL IS CONSISTENT WITH GOOD INTEGRATED WEED MANAGEMENT PRACTICES
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Reasons for need: |
GRASS AND BROAD LEAF WEEDS; PER NE ME-TOO REQUEST, WEED CONTROL IS A CHALLENGE AND NO HERBICIDES ARE LABELED IN INDUSTRIAL HEMP:08/19
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Requesting State(s): |
KY:Bessin, R ; MA:Madeiras, A ; NC:Post, A ; NE:Jhala, A ; OK:Luper, C ; OR:Peachey, E ; VA:McCoy, T; Flessner, M; Johnson, C ;
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PCR Use Pattern: |
MAKE ONE PREEMERGENT SOIL APPLIC (PRIOR TO WEED EMERGENCE) OF DUAL II MAGNUM AT 1-1.67 PT/A; INCORPORATE 2-3' IF RAIN IS NOT EXPECTED WITHIN 48 HR OF APPLIC; NE REQUEST ASKS FOR 2 SOIL APPLIC OF 1.33 PT/A, 20-DAY INTERVAL
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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: |
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E/CS Research Comments: |
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Label Use Pattern Submitted To EPA: |
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EPA PIF Status: |
GREEN:09/18 & 09/19
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EPA Status: |
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EPA PRIA Date: |
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MRID: |
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Comments: |
REQUEST SUBMITTED FOR HEMP, FIBER; THERE ARE NO HERBICIDES AVAILABLE:04/15; ALTHOUGH THE FARM BILL OF 2/2014 ALLOWS INDUSTRIAL HEMP TO BE GROWN OR CULTIVATED FOR RESEARCH PURPOSES, THE USE HAS NOT BEEN DECLASSIFIED AS A CONTROLLED SUBSTANCE; EPA IS NOT CONSIDERING ACTIONS AT THIS TIME:05/15; IR-4 CAN NOW CONSIDER PROJECT REQUESTS ON INDUSTRIAL HEMP:07/17; MFG SUPPORTS; IR-4 TO DETERMINE IF RESIDUE AND/OR PERFORMANCE DATA ARE REQUIRED:08/18; EPA GREEN:09/18; MFG REQUIRES RESIDUE DATA ON THE OIL:10/18; EPA GREEN:09/19; MFG CURRENTLY NOT SUPPORTING HEMP PROJECT REQUESTS:05/20
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International Status: |
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Archive Location: |
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QA Archive: |
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