Reduced Risk Status: |
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IPM Compatibility: |
PER REQUESTOR AND NER 2018 NOMINATION COMMENT: VERY GOOD IPM FIT; IS AN ALTERNATIVE MITICIDE FOR ROTATION IN RESISTANCE MANAGEMENT EFFORTS; IS SOFT ON BENEFICAL INSECTS:08/15; NEED MORE MODES OF ACTION TO BETTER MANAGE RESISTANCE TO MITICIDES:08/15; PER DE ME-TOO, SPIDER MITES ARE REGULAR PESTS, OFTEN TREATED TWICE OR SOMETIMES MORE DURING THE SEASON, SO PRODUCT ROTATION HELPS DELAY RESISTANCE; THIS AI IS SOFT ON NATURAL ENEMIES, INCLUDING ORIUS AND PREDATORY MITES:08/18
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Reasons for need: |
TWO-SPOTTED SPIDER MITE, SOUTHERN RED MITE
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Requesting State(s): |
DE:Owens, D ; FL:Liburd, O. ; UT:Alston, D. ;
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PCR Use Pattern: |
MAKE 2 FOLIAR APPLIC OF 13.7 FL OZ/A OF CYFLUMETOFEN, 10-14 DAY INTERVAL, NO PHI SPECIFIED
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EPA Default Residue Trials: |
2 5 6-2 10-4
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IR-4 Residue Trial Plan: |
USE NAFTA GUIDANCE: 2 5-2 6 10-4; 1 DECLINE; (EPA GUIDANCE: 2 5 6-2 10-4; 1 DECLINE)
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Residue Protocol Use Pattern: |
USE THE NEALTA MITICIDE PRODUCT (1.67 LB AI/GAL); MAKE 2 FOLIAR APPLIC OF 0.179 LB AI/A IN 50-100 GPA, 7-DAY INTERVAL (CHANGED FROM 14 DAYS BY PROTOCOL CHANGE #2), 1-DAY PHI; ALL APPLIC SHALL INCLUDE A LABEL RATE OF AN ADJUVANT UNLESS ABSENCE OF ADJUVANT IS BEING USED TO DIFFERENTIATE BETWEEN MORE THAN 1 TRIAL BY THE SAME FRD
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Efficacy/Crop Safety (E/CS) Data Required: |
MFG REQUESTS E/CS TESTING TO MEET CERTAIN STANDARDS (I.E., EXAGGERATED RATES TO EVALUATE CROP SAFETY, CONSECUTIVE YEARS TESTING, VARIETY SCREENINGS, ETC.) TO SUPPORT COMMERCIALIZATION OF THE USE; DEVELOP SUFFICIENT DATA TO SUPPORT REGISTRATION IN CA:08/15; MFG REQUIRES 3 EFFICACY TRIALS (SUGGESTS 2 IN CA, PLUS AZ) AND 3 CROP SAFETY TRIALS (SUGGESTS 2 IN CA, PLUS AZ):07/16
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E/CS Research Comments: |
2019 PERFORMANCE PROTOCOL INCLUDES 1X & 2X RATES OF CYFLUMETOFEN (13.7 & 27.4 FL OZ/A OF NEALTA) COMPARED WITH THE 1X RATE+ORGANOSILICONE ADJUVANT AND THE 1X RATE+NIS ADJUVANT (BOTH TREATMENTS MADE WITH 2 PASSES TO SIMULATE A DOUBLE APPLC), WITH NO MORE THAN TWO APPLIC, MINIMUM 50 GPA AND A 14-DAY INTERVAL, MADE WHEN MITES REACH A TREATMENT THRESHOLD; COLLECTING CROP INJURY AND CROP YIELD/QUALITY (NO PEST CONTROL DATA NEEDED); IN THE 2020 PERFORMANCE PROTOCOL: TESTING SAME USE PATTERN AND COLLECTING SIMILAR DATA; ALL RESIDUE DATA RECEIVED, STILL ONE OUTSTANDING E/CS REPORT:10/20
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Label Use Pattern Submitted To EPA: |
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EPA PIF Status: |
EPA GREEN:09/18
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EPA Status: |
2E9030
PEND:07/21
QA: 12/20
SUB:10/22
PROP:02/23
RULE:05/24
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EPA PRIA Date: |
02/01/24
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MRID: |
52003002
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Comments: |
SUGGEST 3-DAY PHI:08/15; WAS GIVEN AN "A" PRIORITY AT 2015 FUW, BUT AFTERWARDS (10/15) WAS RETURNED TO "UNDER EVAL" UNTIL MFG REASSESSES E/CS DATA NEEDS AND CONFIRMS HOW IR-4 CAN PROCEED:05/16; MFG MADE RESEARCHABLE AGAIN, WITH SPECIFIC REQUIREMENTS FOR PERFORMANCE RESEARCH (SEE E/CS DATA REQUIREMENTS), WHICH MFG WILL PARTIALLY FUND:07/16; EPA GREEN:09/18; POTENTIAL JOINT STUDY WITH CANADA PMC:10/18; ALL RESIDUE DATA RECEIVED, STILL ONE OUTSTANDING E/CS REPORT:10/20; per BASF, the NEALTA labels were stamped 8/30/24 and the use is now registered:09/24/sb;
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International Status: |
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Archive Location: |
107-6; 002860, 002861
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QA Archive: |
002818, 48-4
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