Reduced Risk Status: |
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IPM Compatibility: |
Copied from 11508: PER WSR 2014 NOMINATION COMMENT: UNKNOWN TO GOOD IPM FIT; PRODUCT IS EFFECTIVE UNDER HIGH WEED PRESSURE; HAS A UNIQUE MOA FROM CURRENTLY USED PRODUCTS, SO WOULD BE HELPFUL TO MANAGE WEED RESISTANCE, ALONE OR IN A TANK MIX:07/24/sb
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Reasons for need: |
Copied from 11508: WEEDS, ESPECIALLY HAIRY NIGHTSHADE:07/24/sb; WA, NE & MT-Fall seeded pulses need post emerge weed control in the spring:08/24; NY-Palmer amaranth is expanding its range into NYS. Other amaranth species are widespread. In the absence of linuron resistance, this a.i. could be an effective tool against these species:09/24
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Requesting State(s): |
AR:Burgos, N ; HQ:IR-4 Headquarters* ; ID:Hirnyck, R, Morishita, D ; MT:Scholz, T ; NE:Scholz, T ; NM:Craig, M ; NY:Sosnoskie, L ; WA:Scholz, T ; WI:Heider, D ;
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PCR Use Pattern: |
Copied from 11508: MAKE A SINGLE FOLIAR APPLIC OF UP TO 2 LB/A OF LOROX DF POST PLANTING BUT PREEMERGENCE TO THE CROP; USE LOWER RATES ON COARSE SOILS AND HIGHER RATES ON HEAVIER SOILS; NO MORE THAN 1 APPLIC/SEASON; DO NOT APPLY TO SAND OR LOAMY SAND SOIL TYPES; DO NOT USE ON SOILS WITH <1% ORGANIC MATTER:07/24/sb;
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EPA Default Residue Trials: |
1 5-5 7-2 8 9 10 11
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IR-4 Residue Trial Plan: |
1 5-5 7-2 8 9 10 11
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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: |
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Label Use Pattern Submitted To EPA: |
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EPA PIF Status: |
Copied from 11508: GREEN:09/18
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EPA Status: |
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EPA PRIA Date: |
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MRID: |
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Comments: |
This was an initial study under PR# 11508, but due to analytical concerns we have been unable to complete. We hope to address analytical issues, but do not know if we will be successful. Therefore, this new PR# was created and will have to be re-prioritized, if we are able to address the analytical issues and there is still a need:07/24/sb; SSR names copied over from 11508:07/24/sb; TKI supports as Researchable, Only Residue Data Needed:07/24/sb
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International Status: |
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Archive Location: |
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QA Archive: |
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