| Reduced Risk Status: |
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| IPM Compatibility: |
PER REQUESTER, A VERY GOOD FIT; ADDING PENNYCRESS TO A CROP ROTATION PROMOTES IPM THROUGH INCREASED BIODIVERSITY; VGF-NCR:08/24;
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| Reasons for need: |
FEW HERBICIDE OPTIONS EXIST
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| Requesting State(s): |
IL:Bernards, M ; MO:Aulbach, C ; SD:Reicks, G ;
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| PCR Use Pattern: |
CLARITY AT A RATE OF 4-16 OZ/ACRE AS A PREPLANT BURNDOWN WITH 1 APPLIC; MAKE A SINGLE APPLIC TO EMERGED WEEDS PRIOR TO PLANTING; THE RATE AND INTERVAL BETWEEN APPLIC AND PLANTING WILL NEED TO BE ESTABLISHED
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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: |
EPA YELLOW: 08/22
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| EPA Status: |
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| EPA PRIA Date: |
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| MRID: |
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| Comments: |
THIS REQUEST IS DIFFERENT FROM LATE POSTEMERGENCE REQUEST, 13143; EPA CAUTION: 08/21; Corteva supports current status of Potential:07/24/sb; Corteva no longer works with this chemical:07/24/sb; based on Aug 2022 email, BASF supports as Potential, Need E/CS Data before Residue:08/25/sb;
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| International Status: |
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| Archive Location: |
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| QA Archive: |
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