CLA Comments on the Proposed Interim Registration Review Decision for Eleven Rodenticides and Supporting Documents

CropLife America Comments on the Environmental Protection Agency’s Proposed Interim Registration Review Decision for Eleven Rodenticides pointing out several critical errors in the data being used in the review process.

Re: Comments on the Rodenticide PIDs and Supporting Documentation Dear Ms. Biscoe,

Established in 1933, CropLife America (CLA) represents the developers, manufacturers, formulators, and distributors of pesticides and plant science solutions for agriculture and pest management in the United States. CLA represents the interests of its registrant member companies by, among other things, monitoring legislation, federal agency regulations and actions, and litigation that impact the crop protection and pest control industries and participating in such actions when appropriate. CLA’s member companies produce, sell, and distribute virtually all the pesticide and biotechnology products used by American farmers.

CLA appreciates the opportunity to comment on the proposed Biological Evaluation for rodenticides produced by the Environmental Protection Agency (EPA or the Agency).

Sincerely,

Manojit Basu
VicePresident,SciencePolicy CropLife America

Read CLA’s comments here.

Previous
Previous

CLA Comments on Carbaryl Proposed Interim Decisions

Next
Next

Letter from Agricultural Organizations in Support of the Immediate Passage of the Reauthorization of the Pesticide Registration Improvement Act