Reduced Risk Status: |
|
IPM Compatibility: |
PER REQUESTOR: GOOD IPM FIT; IS A NON-RUP ALTERNATIVE TO PARAQUAT, WITH BETTER APPLICATOR SAFETY; CONTROLS GLYPHOSATE RESISTANT WEEDS:08/16; FROM SOR 2017 NOMINATION: VERY GOOD IPM FIT BECAUSE THE AI HAS A UNIQUE AND DIFFERENT MODE OF ACTION THAN COMMONLY USED HERBICIDES LIKE GLYPHOSATE AND PARAQUAT/DIQUAT
|
Reasons for need: |
VARIOUS BROADLEAF AND GRASSY WEEDS
|
Requesting State(s): |
HI:Coughlin, J ; PR:Robles, W ;
|
PCR Use Pattern: |
USE THE RELY 280 PRODUCT; MAKE 3 DIRECTED APPLIC/YEAR OF 1.5 LB AI/A, 30-DAY INTERVAL, 0-DAY PHI; APPLY OVER ROW MIDDLES OR SPOT SPRAY; MFG SUGGESTS COMMON USE PATTERN FOR ALL TROPICAL FRUITS:05/17
|
EPA Default Residue Trials: |
3 13-4
|
IR-4 Residue Trial Plan: |
3-2 13-6 (2-YR STUDY); 2 "RED A" TRIALS NEEDED IN 2019
|
Residue Protocol Use Pattern: |
USE THE RELY 280 PRODUCT (BAYER) OR LIBERTY PRODUCT (BASF) (BOTH ARE 2.34 LB AI/GAL); MAKE 3 BANDED APPLIC OF 1.5 LB AI/A IN 10-40 GPA, 30-DAY INTERVAL, 0-DAY PHI; BANDS SHOULD EXTEND FROM TREE TRUNKS OUT TO A MINIMUM OF 3 FT FROM TRUNK LINE; DO NOT CONCENTRATE TEST SUBSTANCE IN THE TREATED AREA; ALL APPLIC SHALL INCLUDE AMMONIUM SULFATE (AMS) ADJUVANT AT UP TO 3 LB/A, UNLESS ABSENCE OF ADJUVANT IS BEING USED TO DIFFERENTIATE MORE THAN ONE TRIAL BY THE SAME FRD; IF NEEDED, AN NIA (NON-IONIC-ANTI-FOAM) AGENT CAN BE USED AT A LABEL RATE
|
Efficacy/Crop Safety (E/CS) Data Required: |
|
E/CS Research Comments: |
IN THE 2018 PERFORMANCE PROTOCOL: TESTING 2 RATES ( 1.5, 3.0 LB AI/A) OF RELY 280 (2.34 LB AI/GAL), EACH RATE PLUS AMS OR NIS, AND EACH RATE PLUS GLYPHOSATE, IN >15 GPA, VS A WEED-FREE CONTROL; MAKE BANDED APPLIC TO THE ORCHARD FLOOR, IN A MINIMUM SWATH WIDTH OF 3 FT ON EACH SIDE OF THE ROW, AND DO NOT CONCENTRATE THE AI IN THE TREATED AREA; MAKE 3 APPLIC AT 28-DAY INTERVALS, WITH 1ST APPLIC WHEN WEEDS ARE <6 INCHES TALL, AND LAST APPLIC ON THE DAY OF HARVEST; COLLECT CROP INJURY AND WEED CONTROL DATA, BUT NO CROP YIELD DATA
|
Label Use Pattern Submitted To EPA: |
|
EPA PIF Status: |
EPA YELLOW:09/18
|
EPA Status: |
1E8960
PEND:09/21
QA: 12/20
SUB:10/21
PROP:10/22
RULE:06/23
|
EPA PRIA Date: |
2/9/23, rev 3/20/23
|
MRID: |
51568403
|
Comments: |
THERE ARE ESTABLISHED EPA TOLERANCES FOR BANANA (0.3 PPM) AND BANANA PULP (0.2 PPM); NEED TO HARMONIZE USE PATTERNS SO THAT AVOCADO (PR# 10240) AND BANANA, AS REP CROPS FOR NEW SUBGROUP 24B, WILL COVER PAPAYA (PR# 09887):08/16; EPA CAUTION; MFG SUPPORTS, BUT NEED E/CS DATA BEFORE RESIDUE STUDY:09/16; MFG SUPPORTS, WITH E/CS DATA GENERATED DURING RESIDUE STUDY:05/17; EPA CAUTION:11/17; EPA CAUTION:09/18; as a result of a mtg with BASF, the status is being updated from Tolerance Established to Use Registered:05/24/sb; inadvertent status of IR-4 Cannot Support at this time changed back to Use Reg:06/24/sb;
|
International Status: |
|
Archive Location: |
C0001037178
|
QA Archive: |
66 - 2
|