| Reduced Risk Status: |
FORMERLY CYANTRANILIPROLE (HGW86) CHANGED 03/22
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| IPM Compatibility: |
FROM WSR: FITS WELL IN IPM PROGRAM, WITH MODERATE TO NO IMPACT ON BENEFICIALS, BUT MUST AVOID APPLIC WHEN BEES ARE PRESENT; IS A GOOD ALTERNATIVE FOR MANAGEMENT OF RESISTANCE DEVELOPMENT:08/13
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| Reasons for need: |
THRIPS PARVISPINUS
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| Requesting State(s): |
FL:Olszack, R; Crane, J. ; HI:Kawate, M. ; PR:Robles, W. ; TX:Landivar, J. ;
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| PCR Use Pattern: |
FOUR FOLIAR APPLIC OF 0.1338 LB AI/A, 14-DAY INTERVALS, 0 OR 1-DAY PHI; SPRAY AT FIRST SIGNS OF INJURY OR PRESENCE OF THRIPS; NO MORE THAN 2 CONSECUTIVE APPLIC BEFORE ROTATING TO A DIFFERNET MODE OF ACTION INSECTICIDE
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| EPA Default Residue Trials: |
3/13-4
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| IR-4 Residue Trial Plan: |
13-4; 1 DECLINE
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| Residue Protocol Use Pattern: |
USE THE EXIREL PRODUCT (0.83 LB AI/GAL); MAKE 3 FOLIAR DIRECTED APPLIC OF 0.133 LB AI/A IN 30-100 GPA AT 14-DAY INTERVALS; INCLUDE AN ADJUVANT AT A LABELED RATE WITH EACH APPLIC (DO NOT USE AN ORGANO-SILICONE ADJUVANT); 1-DAY PHI
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| Efficacy/Crop Safety (E/CS) Data Required: |
MFG REQUESTS COLLECTION OF CROP SAFETY OBSERVATIONS/DOCUMENTATION DURING CONDUCT OF RESIDUE TRIALS:10/14; NEED 2 MORE E/CS TRIALS:06/16
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| E/CS Research Comments: |
MFG WOULD LIKE TO SEE 2 MORE E/CS TRIALS BEFORE REGISTRATION:10/14
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| Label Use Pattern Submitted To EPA: |
|
| EPA PIF Status: |
EPA GREEN:09/18
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| EPA Status: |
2E9041
PEND:05/22
QA:02/22
SUB:12/22
PROP:07/23
RULE:05/24
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| EPA PRIA Date: |
04/30/24
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| MRID: |
52060704
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| Comments: |
H+ FOR E/CS DATA FROM WCR AT FUW; MFG SUPPORTS E/CS DATA BEFORE RESIDUE STUDY:09/13; MFG MADE RESEARCHABLE AT WORKSHOP:09/14; EPA CAUTION:08/15; EPA GREEN:08/16; LAB MFG CONFIRMED ONLY RESIDUES NEEDED:05/17; EPA GREEN:08/17; EPA GREEN:09/18; MIR TRANSFERRED TO CAR FOR MOR ANALYSIS:01/21; FMC ADVISED STATUS UPDATE TO USE REGISTERED:10/25/sb;
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| International Status: |
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| Archive Location: |
57-5
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| QA Archive: |
66-2
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