Document MGEgQBqZ6yezkn3RrjXp9Ex87
TO: Distribution
rn
Interoffice Communication
FROM: DATE:
SUBJ:
T. G. Grumbles March 31, 1986
VMC 100 REGISTRATION: MEETING WITH KELLER & HECKMAN
VISTA
A meeting was held with Keller & Heckman staff on March 25 to discuss status of the subject registration. Sandy Dennis and Check Broeder are the primary staff contacts with Peter de la Cruz providing supervision. Broeder is a staff scientist for the firm. Options for registering and progress to date were discussed. The discussions are summarized below.
1. Keller & Heckman has had little success in getting informal
guidance from the agency on the existence of data gaps or
intended uses for current registrants. They have filed two FOI
requests (attached) to try and obtain this information. The
product manager at EPA for this class of chemicals is new and
is reluctant to give opinions. Keller & Heckman felt it was
reasonable to structure the registration for a carbon number
range (i.e. C.--C.,) material if the data reasonably supports
that.
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2. I reviewed with them where we were on translations, data collection etc. I told them we felt that we could have all the information available pulled together by May 1 and maybe sooner. The indicated that we should begin filling in the forms and sending them information to review when available.
Based on our discussions, those involved at Keller & Heckman feel we have a fair chance of success in submitting the form without wild life data and explaining why we feel it's not needed or applicable. The EPA does have regulatory flexibility to grant a waiver of data requirement. Based on the above, I feel we should move to submit an application without the wildlife data, but with supporting documen tation on why itfs not included.
Following are the current action items:
1. Continue to try and contact current customers with registration. (OCK)
2. Begin to prepare the "Waiver of Data" paragraph for wildlife data. This should include the following elements. (TGG, AN)
a. Applicability - biodegradation, environmental persistence, similar chemical testing if available.
b. This use will be small increment to current environmental
releases.
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Distribution Page 2 March 31, 1986
c. FDA sanctions (sanitizing solutions). 3. Begin to draft the required FIFRA label. (TGG) 4. Organize the data and place on registration forms as it becomes
available. (All) Completing the above should get us to our goal of submitting a registration to the agency as soon as possible. Please let me know if you have questions on the above. As more information becomes available, we will want to discuss the options to assure a timely registration.
Thomas G. Grumbles ajo/8 cc H. W. Hilgers
W. L. McClain DISTRIBUTION:
0. C. Kerfoot A. M. Nielsen D. L. Smith
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