Document dLG0qGd6yBJQjDxjEKMRodo5
Message From: Sent: To: CC:
Subject:
Scott Herndon [sherndon@americansugarbeet.org] 6/6/2017 11:20:34 AM Beck, Nancy [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=168ecb5184ac44de95a913297f353745-Beck, Nancy] Bennett, Tate [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=lfa92542f7ca4d01973bl8b2fllb9141-Bennett, El]; Palich, Christian [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=330ad62el58d43af93fcbbece930d21a-Palich, Chr]; Cassie Bladow [Cassie.Bladow@beetsugar.org]; Graham, Amy [/o=ExchangeLabs/ou=Exchange Administrative Group (FYDIBOHF23SPDLT)/cn=Recipients/cn=26722dfde5b34925b0ad9a8dd4aff308-Graham, Amy] Re: Section 18
Dr. Beck,
Thank you so much for the information and the help!
Have a great day.
Best,
Scott
Sent from my iPhone
On Jun 5, 2017, at 4:10 PM, Beck, Nancy <Beck.Nancy@epa.gov> wrote:
Scott, My understanding is that some toxicology data is still being developed. We'll have to see these data to understand what the future will look like for chlorothalonil. Regarding alternatives, below is what we are looking at:
1. cyprodinil + difenoconazole 2. difenoconazole + benzovindiflupyr 3. fluazinam
Nancy
Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273
IZZZZZZ
beck.nancy@epa.gov
From: Scott Herndon [rnaiito:sherndon@arneric3nsugarbeetore1 Sent: Monday, June 5, 2017 12:44 PM To: Beck, Nancy <Beck.Nancy@epa.gov> Cc: Bennett, Tate <8ennett.T3f8@epa.gov>; Palich, Christian <p3 jich.christian@ep3 .gov>; Cassie Bladow <Cassie.Biadow@beefsugar.org>; Graham, Amy <graham.arnv@epa.gov> Subject: RE: Section 18
Dr. Beck,
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00001
I'd like to thank you and everyone else involved in this again for all of your work!
Do you have any sense yet of the likelihood of chlorothalonil being approved for use on sugarbeets for the 2018 season? Or is it more likely that it won't be fully approved until the 2019 season? I'm trying to get a sense of the path forward on this.
Also, has any progress been made on identifying workable alternatives to chlorothalonil for this season? I know there was some hope for workable solutions from registered products. I'd love to share the specific alternatives with our folks, if possible.
Thanks again for all of your help and time!
Best,
Scott
Scott Herndon Director o fBiotechnology and Regulatory Affairs American Sugarbeet Growers Association 1155 15th Street NW #1100 Washington, DC 20005 202-595-0786
From: Beck, Nancy [maiSto:Beck,Nancy@epa.govl Sent: Friday, May 12, 2017 6:36 PM To: Scott Herndon <sherndon@americansugarbeetora> Cc: Bennett, Tate <Bennetf.Tafe@epa.gov>; Palich, Christian <palich.christian@epa.gov>; Cassie Bladow <Cassie.Biadow@beetsugar.org>: Graham, Amy <graharn.aniy@ep3.gov> Subject: RE: Section 18
Scott, Below is the latest. Long story short, we are currently working with state and Extension Service experts to explore and identify possible alternatives as we evaluate the request. We have had similar situations like this and have been able to work cooperatively to find alternative approaches in emergency situations. Our staff is meeting internally with extension experts and trying to schedule a meeting with the sugar beet states for next week.
Regarding the data needs, below is what I've learned. However, I would encourage you to keep in mind that the work noted above to identify possible alternative approaches with the states is what will likely be most helpful to your group because it does take time to run through the full risk evaluation process.
Summary: North Dakota and Minnesota submitted to the agency emergency exemption requests for the subject uses in late March and early April, 2017, respectively, but chorothalonil has outstanding data requirements most of which concern the need for a subchronic inhalation study, which precludes the agency from being able to make the required aggregate risk safety finding.
More specifically, the Chlorothalonil Scoping Document of March, 2012, developed to support the opening of the docket for registration review, indicates that in our most recent risk assessment (2010),
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00002
MOEs for short and intermediate-term occupational handler inhalation exposures exceed HED's LOC (MOE <1000). For mixing/loading liquids for aerial, chemigation, and groundboom applications, MOEs range from 42 to 180.
MOEs for short-term residential handler exposure exceeded HED's LOC (MOE=1000). For mixing/loading/applying liquids with a brush or sprayer MOEs range from 52 to 220.
Because there is no inhalation study of appropriate length available to assess short- and intermediateterm exposures, HED relied upon an acute study (in which no NOAEL was achieved) to assess short- and intermediate-term exposure. Additional UFs were applied for both the lack of an NOAEL and the lack of a subchronic inhalation study.
In response to this risk assessment, the registrant withdrew the new use applications that triggered the need for this risk assessment.
In March 2013, after OMB review, we issued the Registration Review data call-in. Nearly 25 studies were identified is being needed to support the registration review. Most pertinent to this situation is the need for a 90-day subchronic inhalation study, but we identified a number of other missing studies across human exposure, animal tox, environmental fate, and ecological effects. Sipcam Agro, the registrant for the requested product under section 18, was a recipient of the DCI and a copy of the DCI has been posted in the registration review public docket since July 2013.
We have been working with the consortium of chlorothalonil registrants to build a record for an upcoming FIFRA SAP peer review meeting on the use of in vitro studies and CFD/MMAD models for deriving points of departure and uncertainty factors. This would be the first time that EPA derived a point of departure from an in vitro study. We are targeting late 2017 or early 2018 for that SAP meeting.
So as you can see this process takes time. Given all that and the need for the emergency use, as I noted above, we are reaching out to the states and to the land grant universities to explore other control options for this fungal pest that we might be able to make available under section 18. The point Rick was trying to make in his testimony is that the earlier engagement we have with the states on potential control tools, the less likely that we will find ourselves in a situation mere days before the use needs to occur of having to scramble to find an alternative. This is an approach that we use with IR-4 (Interregional Risk Project 4 ) ; they don't conduct research on chemicals where we don't think we'll be able to make the FFDCA safety finding. That way, their packages move rather quickly through the review process.
Please let me know if you have any questions. Regards, Nancy
Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202--5-6--4---1273 -|
i ___________________________________ !
beck.nancy@epa.gov
From: Scott Herndon [mailto:sherndon@americansugarbeef.ora1 Sent: Friday, May 12, 2017 4:10 PM
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00003
To: Beck, Nancy <Beck.Nancy@epa.gov> Cc: Bennett, Tate <Bennett.T3te@epa.gov>; Palich, Christian <p3 lich.christian@ep3 .gov>; Cassie Bladow <Cassie,BiadQw@beetsugar.org>; Graham, Amy <graham.aniy@epa.gov> Subject: Re: Section 18
Thanks so much!
Scott
Sent from my iPhone
On May 11, 2017, at 6:30 PM, Beck, Nancy <Beek.Nancv@epa.gov> wrote:
Scott, I will work with my staff to get you some answers.
Regards, Nancy
Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273
Ex. 6
I_______________________________________________________________________ :
beck.nancy@epa.gov
From: Scott Herndon [mai'ito:sherndon@americansugarbeet.org1 Sent: Thursday, May 11, 2017 12:38 PM To: Bennett, Tate <Bennett.Tate@epa.gov>; Beck, Nancy <Beck.Nancy@epa.gov> Cc: Palich, Christian <paiich.christi3n@epa.gov>; Cassie Bladow <Cassie.Biadow@beetsugar.org>; Graham, Amy <graham.amv@epa.gov> Subject: RE: Section 18
Christian and Amy, it was nice meeting you!
I have listened to the hearing about 20 times now so that I could transcribe the Section 18 comments verbatim for our growers. I've pasted them below for you as well. When you are able, do you mind telling me what data is missing, if any? I've heard that it is the vapor data that is missing but have alternatively heard that it is the residue data that is missing. I want to make sure that our folks have or can provide all necessary data. I've also attached the relevant contacts for this issue.
Thanks so much again!
My transcript of Section 18 comments from today's hearing below:
Senator Stabenow: "Thank you Mr. Chairman and thank you to both of our witnesses. Mr. Keigwin, I first want to thank you personally for your engagement with Michigan State University and our Michigan hop growers that created the gift that we just gave to the Chairman to facilitate Section 18 exemptions under FIFRA. Most recently I've heard from Michigan sugar beet growers about emergency use needs under Section 18 as well. What steps can be taken by growers, states, manufacturers and the EPA to make this Section 18
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00004
process more efficient so that growers facing unexpected risk can get needed crop insurance tools in a timely manner?"
Mr. Rick Keigwin, Acting Director, Office of Pesticide Programs, EPA "Thank you, Senator, and I've had the great fortune of meeting with Michigan growers on a number of occasions. Your growers sponsor an annual tour to help educate EPA employees about Michigan agriculture and what farmers do to help grow our crops so thank you for that. In terms of Section 18s, we have a pretty solid record of completing our decision making for most Section 18 emergency exemptions in less than 50 days but there are times and I think this situation with the sugar beet ones, the growers, that came to your attention highlights the need for early engagement between EPA, the Michigan Department of Agriculture and the grower community and the land-grand universities. Knowing early on what tools a grower might need to address an emerging pest situation. It is hard when at the end of the process, or right when they need to apply the product, for EPA to say, 'wait, hold on, we might have a problem' so one process efficiency would probably be for us to have earlier engagement, maybe even before the state submits their Section 18 request to see if there might be any issues with that particular chemical and to the extent to which there are we could work collaboratively with cooperative extension and with the state to maybe find some alternatives that we could move through the process more quickly to address the emerging pest management."
Scott Herndon Director o fBiotechnology and Regulatory Affairs American Sugarbeet Growers Association 1155 15th Street NW #1100 Washington, DC 20005 202-595-0786
From: Bennett, Tate [m3ilto:Bennett,Tate@ep3,gavl Sent: Wednesday, May 10, 2017 10:21 PM To: Beck, Nancy <Beck.N3ncy@ep3.gov> Cc: Palich, Christian <palich.christian@epa.gov>; Scott Herndon <sherndon@americansugarbeet.org>; Cassie Bladow <Cassie.Biadow@beetsugar.org>; Graham, Amy <gr3 h3 m.amy@epa.gov> Subject: Re: Section 18
Scott- Christian and Amy will be at the hearing tomorrow with Rick. Were you planning to be there?
On May 10, 2017, at 10:05 PM, Beck, Nancy <Beck.Nancy@epa.gov> wrote:
This is bizarre. On our call when we discussed reaching out to Stabenow, Rick clearly stated that he would state that believed his staff spoke prematurely and that they were looking at all the options. Rick seems like such a straight shooter this just isn't adding up. Are we sure that Rick was the only one that spoke w Stabenows office and there wasn't some other call with his staffer?
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00005
I can check w Sven as he would have been on the call.
Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP P: 202-564-1273
Ex. 6
L________________________________________ i
Beck.Nancy@epa.gov
On May 10, 2017, at 9:27 PM, Palich, Christian <pah'ch,christian@epa.gov> wrote:
I sat in on that call for a minute but was pulled away to another meeting, ill follow up with career staff in the morning to see a status.
I'll defer to Nancy on how to handle this more technical response.
Thanks so much for the heads up Scott.
Christian R. Palich Deputy Associate Administrator Congressional & Intergovernmental Relations 202.306.4656
Sent from my iPhone
On May 10, 2017, at 9:15 PM, Bennett, Tate <8enneft.Tate@epa.gQv> wrote:
Thank you for the heads up. Looping in Nancy as it relates to the imminent hearing tomorrow. We probably need to give some messaging instructions on this so he doesn't tie our hands "on the record." Thoughts?
On May 10, 2017, at 9:10 PM, Scott Herndon <shefndcvi@amefic3nsugarbeet.org> wrote:
Tate,
I wanted to give you a heads up that Senator Stabenow's Ag. Committee staff spoke with EPA career staff this afternoon. The EPA staff don't believe that they have any room on
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00006
Sierra Club v. EPA 18cv3472 NDCA
this issue and still believe there is a data gap. From what Stabenow's staff relayed to me, EPA staff characterized the Section 18 component as relatively straightforward under FIFRA but the Food Drug and Cosmetic Act (FDCA) requirements for residues and granting tolerances are very strict. Under Section 18, the cost benefit analysis can weigh the economic harm, etc. I asked them to triple check with EPA that they were looking at the data SipCam submitted on Friday and they said they would (attached).
Also, they may bring this up at the Senate Agriculture hearing tomorrow with the Director of Pesticide Programs. We did not ask them to do this but I also don't think that I can ask them not to do it. I just wanted to give you a heads up so you all wouldn't be caught off guard. Hearing info here: https://www.agricuitur e.senate.gov/hearings/ pesticide-registrationunder-the-federalinsecticide-fungicideand-rodenticide-actproviding-stakeholderswith-eertainty-throughthe-pestieideregistrationimprovement-act
Thanks again!
Tier 12
ED 002061 00044561-00007
Sierra Club v. EPA 18cv3472 NDCA
Scott
Scott Herndon Director of Biotechnology and Regulatory Affairs American Sugarbeet Growers Association 202-595-0786
From: Cassie Bladow [mailto:Cassie, Bladow {S beefsugar.oml Sent: Tuesday, May 09, 2017 4:43 PM To: Bennett, Tate <Bennett.T3te@epa.go y>; Scott Herndon <shemdon@americans ugarbeetorg> Subject: RE: Section 18
Thank you, Tate! Really appreciate your help!
From: Bennett, Tate [mailto:Bennett.Tate@ epa.govl Sent: Tuesday, May 9, 2017 4:37 PM To: Scott Herndon <sherndon@amef cans ugarbeetorg> Cc: Cassie Bladow <Cassie.BSadow@beets ugar.org> Subject: RE: Section 18
FYI we are on it.
Interesting. I'm not confident her management is aware of these conversations. Will find out.
Nancy B. Beck, Ph.D., DABT Deputy Assistant Administrator, OCSPP
Tier 12
ED 002061 00044561-00008
Sierra Club v. EPA 18cv3472 NDCA
P: 202-564-1273
Ex. 6
"BcR7Nincv#'F'gov
From: Scott Herndon [maiSto:sherndon@ame ric.ansugarbeet.orRl Sent: Tuesday, May 9, 2017 4:09 PM To: Bennett, Tate <Bennett.T3te@epa.go v> Cc: Cassie Bladow <Cassie. Bladowgp beets ugar.org> Subject: RE: Section 18
Tate,
I've looped Cassie back in and wanted to give you both an update. Dr. Mohamed Khan with NDSU had a conversation with Andrea Conrath at EPA (her contact information is below) this morning about the new data that was supplied by SipCam. Dr. Khan prepared the Section 18 applications that were requested by the ND and MN Departments of Agriculture. He also prepared the application that we expect the Michigan Department of Agriculture to file soon.
In his email to me he stated "I spoke to Andrea today at EPA. Unfortunately, she does not believe the new tolerance data submitted will help. Seems they are looking for some data for some
Tier 12
ED 002061 00044561-00009
other studies." I have been unable to determine what additional data they need and have asked Dr. Khan if that was relayed to him but have not yet heard back.
<image001.jpg>
Thanks!
Scott Herndon Director of Biotechnology and Regulatory Affairs American Sugarbeet Growers Association 1155 15th Street NW #1100 Washington, DC 20005 202-595-0786
---- Original Message---
From: Scott Herndon Sent: Monday, May 8, 2017 5:43 PM To: 'Bennett, Tate' <Bennett.T3tecg epa.go v> Subject: RE: Section 18
SipCam has state registrations for Cercos (brand name) in Michigan, North Dakota, Minnesota.
North Dakota expires in 12/31/2017 Michigan expires in 6/30/2017 Minnesota expires 12/31/2017 SipCam will renew all of them
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00010
Sierra Club v. EPA 18cv3472 NDCA
Scott Herndon Director of Biotechnology and Regulatory Affairs American Sugarbeet Growers Association 1155 15th Street NW #1100 Washington, DC 20005 202-595-0786
---- Original Message---
From: Bennett, Tate [mailto:Bennett.Tate@ epa.gov] Sent: Monday, May 8, 2017 5:33 PM To: Scott Herndon <sherndon@americans ugarbeet.org> Subject: Re: Section 18
Do these states currently have permits? What is the exact date of expiration?
> On May 8, 2017, at 5:20 PM, Scott Herndon <sherndon@americans ugarbeet.org> wrote: > > Tate, > > Apologies for the delay! I am now back at my computer and have put together a short backgrounder as well as relevant industry contacts. > > I have also attached the correspondence from EPA to the ND and MN Departments of Agriculture asking them to withdraw their request. > > In addition, I have attached a cover letter
Tier 12
ED 002061 00044561-00011
Sierra Club v. EPA 18cv3472 NDCA
that SipCam submitted
to EPA on Friday, May
5th with additional
data.
>
> Thanks so much for
your help and please
don't hesitate to email
or call if you have any
questions.
>
> Have a great evening!
>
> Scott
>
> Scott Herndon
> Director of
Biotechnology and
Regulatory Affairs
American Sugarbeet
> Growers Association
> 1155 15th Street NW
#1100
> Washington, DC
20005
> 202-595-0786
!
Ex' 6
>
> ---- Original Message-
> From: Bennett, Tate [mailto:Bennett.Tate@ epa.gov] > Sent: Monday, May 8, 2017 3:34 PM > To: Scott Herndon <sherndon@americans ugarbeet.org> > Cc: Cassie Bladow <Cassie.Bladow@beets ugar.org> > Subject: Re: Section 18 > > Thanks! > On May 8, 2017, at 3:32 PM, Scott Herndon <sherndon@americans ugarbeet.org> wrote: Tate,
Tier 12
ED 002061 00044561-00012
Sierra Club v. EPA 18cv3472 NDCA
I have all of the information in my office but am on the Hill right now. I'll send everything to you this evening. Thanks so much! Scott Sent from my iPhone > On May 8, 2017, at 3:13 PM, Bennett, Tate <Bennett.Tate@epa.go v> wrote: > > Hey Scott- do you have any summaries/background papers? > On May 8, 2017, at 2:47 PM, Cassie Bladow <Cassie.Bladow@beets ugar.org> wrote: Tate, Thank you for taking the time to chat this morning. As we discussed, I am looping Scott Herndon who works for the American Sugarbeet Growers Association into the conversation since he has done a lot of work on this issue and will be able to provide you with background and answer any questions you have. We really appreciate your guidance helping us move this along, especially given our tight timeline.
Tier 12
ED 002061 00044561-00013
Thanks again! Cassie > <Section 18 for Chlorothalonil Contacts.docx> <Chlorotha!onil > Background.docx> > <2017-05-05 Chlorothalonil TechEcho 500 Sugarbeet Tol Pet-Label > Amend-C....pdf> <EPA email to ND and MN Departments of > Agriculture.docx>
<2017-05-05 Chlorothalonil TechEcho 500 Sugarbeet Tol Pet-Label AmendC....pdf>
Sierra Club v. EPA 18cv3472 NDCA
Tier 12
ED 002061 00044561-00014