Reduced Risk Status: |
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IPM Compatibility: |
PER REQUESTOR: GOOD IPM FIT; SHOULD HAVE NEGLIGIBLE EFFECTS ON THE ENVIRONMENT AND BENEFICIALS; USE WOULD ONLY BE ON YOUNG PLANTS IN THE GH; PER REQUESTOR 2016 NOMINATION COMMENT: VERY GOOD IPM FIT; KOPPERT SIDE EFFECTS DOES NOT LIST THIS AS HAVING ANY EFFECT ON OUR BOMIDS, ENCARSIA, AND ERETMOCERUS SPP., MAKING THIS A GOOD FIT FOR THE GH INDUSTRY:09/16; FROM NCR 2017 NOMINATION: GOOD IPM FIT; THIS WILL EXTEND THE USABLE PERIOD OF TRANSPLANTS; PER 2020 NCR NOMINATION COMMENT: THERE SHOULD BE MINIMAL IMPACT ON OTHER ORGANISMS; THE APPLICATION WILL BE MADE IN THE GREENHOUSE ONLY; APPLICATIONS WILL NOT OCCUR ONCE THE CROP LEAVES THE GREENHOUSE:08/20
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Reasons for need: |
GROWTH REGULATION - WITHOUT THIS, SOME CROP PLANTS WILL BOLT UNDER HOT GH CONDITIONS
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Requesting State(s): |
HQ:IR4 HQ* ;
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PCR Use Pattern: |
USE THE SUMAGIC PRODUCT; MAKE UP TO 2 FOLIAR APPLIC OF 2-10 PPM, IN A VOLUME OF 2 QT SOLUTION/100 SQ FT; 7-14 DAY INTERVAL; NO PHI LISTED ON CURRENT LABEL; MFG REQUESTS THE LABELED USE PATTERN FOR FRUITING VEGETABLE TRANSPLANTS BE FOLLOWED (08/16)
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EPA Default Residue Trials: |
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IR-4 Residue Trial Plan: |
5-2 11-3 (STARTED IN GH); 1 PROCESSING TRIAL; 2 Red A trials in Region 11 needed for 2024 season.
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Residue Protocol Use Pattern: |
USE THE SUMAGIC PLANT GROWTH REGULATOR PRODUCT (0.064 OZ AI/GAL OF UNICONAZOLE-P ACTIVE INGREDIENT); MAKE 1 FOLIAR BROADCAST APPLIC OF 10 PPM (0.0175 LB AI/A) IN THE GH WHEN MINT PLANTS ARE IN THE 2-4 TRUE LEAF GROWTH STAGE, 21 DAYS PRIOR TO HARVEST FROM GH RETAIL PLANTS (TRT 03) OR 21 DAYS PRIOR TO PLANTS LEAVING THE GH FOR EITHER TRANSPLANTING IN THE FIELD OR GOING THROUGH THE HARDENING PROCESS (UP TO 1 WEEK), BEFORE BEING TRANSPLANTED TO THE FIELD (TRT 02) FOR GROWTH TO MATURITY FOR SAMPLING; APPLIC ARE IN A VOLUME OF 2 QT/100 SQ FT (217.8 GPA); IN THE TRIAL FOR PROCESSING SAMPLES, ADD A 4TH TREATED PLOT THAT INCLUDES A FOLIAR APPLIC OF THE SAME RATE ON THE DAY OF HARVEST (0-DAY PHI)
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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: |
GREEN:09/18 & 09/19; YELLOW:08/20; GREEN:08/21, 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: |
REQUEST INCLUDES USE ON VARIOUS GH TRANSPLANTS FOR RETAIL SALE: ROOT/TUBER, LEAFY VEG, BRASSICA, HERBS (THERE IS ANOTHER REQUEST [10895] FOR USE ON HERBS WHICH THE MFG DID NOT SUPPORT YEARS AGO); THE CURRENT SUMAGIC LABEL INCLUDES ONLY FRUITING VEGETABLES:07/16; MFG SUPPORTS, AND RECOMMENDS THE USE PATTERN CURRENTLY ESTABLISHED FOR FRUITING VEGETABLE TRANSPLANTS:08/16; EPA GREEN:09/18; EPA GREEN:09/19; EPA CAUTION:08/20; PER VALENT, E/CS DATA ARE NOT NEEDED:04/21; EPA GREEN:08/21, 08/22; PR#12028 ORIGINALLY WAS SUBMITTED UNDER HERBS. THAT REQUEST WAS BROKEN INTO 2 SEPARATE REQUESTS AS BASIL (GH) AND MINT PR# 12028, (GH), PR#13530; Residue Protocol signed 06/23, ECS Protocol still needs to be signed: 06/23, JPB; E/CS protocol signed 01/24 & includes Basil, 02/24/DRS;
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International Status: |
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Archive Location: |
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QA Archive: |
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