| Reduced Risk Status: |
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| IPM Compatibility: |
Per Requester: Fair Fit; Relatively non-toxic to insects:06/25;
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| Reasons for need: |
Fusarium Oxysporum / Fusarium Proliferatum. No current effective treatments:06/25;
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| Requesting State(s): |
CO:Tonnessen, B* ;
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| PCR Use Pattern: |
Use Priaxor; Soil-directed banded spray; 8.1 fl.oz/A; one application. BASF prefers to use the premix product MERIVON Fungicide as it already contains use on onions at a labelled crop at 11 fl ozs/A rate:08/25;
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| EPA Default Residue Trials: |
BULB: 1 5 6 8 10-2 11 12
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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: |
BASF requires at least 3 E/CS trials:08/25;
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| Label Use Pattern Submitted To EPA: |
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| EPA PIF Status: |
F=GREEN & P=YELLOW:08/25;
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| EPA Status: |
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| EPA PRIA Date: |
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| MRID: |
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| Comments: |
PR07632, is also in the IR-4 db, but for the single ai, Pyraclostrobin, only. BASF supports as researchable, Needs E/CS Data Only and noted, an EPA submission for the label amendment to add soil-directed banded application will require a residue bridging rationale (foliar to soil) for a science review. Their add'l requirements are under the Use Pattern and E/CS comments; 08/25/sb; Fluxapyoxad is EPA GREEN & Pyraclostrobin is EPA CAUTION:08/25;
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| International Status: |
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| Archive Location: |
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| QA Archive: |
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