a97107de46
Image rebuild (skip scrape) / build (push) Failing after 1h37m12s
Dockerfile: self-contained image with corpus + Chroma + BM25 baked in. Drawbar's compose pulls + runs without volume mounts. Built from sources.json (labels schema), PRODUCT_NAME=crop_chem by default, HYBRID_SEARCH=true (always-on for production quality). RERANK_URL + OLLAMA_URL get set at compose time. .gitea/workflows/refresh.yml: monthly cron (1st @ 06:00 UTC) does full scrape → reindex → image push. Scrapes Bayer (~30 min) + EPA PPLS row-crop filtered (~7h). Skips reindex+push if no corpus diff. Tags pushed: :latest, :<sha12>, :corpus-<YYYY.MM.DD>. .gitea/workflows/image-only.yml: on-demand or auto on code-only pushes to main (paths: docs_mcp/, rag/, scrape/, requirements.txt, Dockerfile, sources.json). Reindexes from committed corpus, builds image, pushes. ~10 min vs ~9h full refresh. .gitignore: corpus/ now COMMITTED (4,159 labels, 265 MB of .md + sidecars). Lets image-only.yml rebuild indexes without re-scraping. chroma/ + bm25/ still gitignored (regenerable binary indexes). .dockerignore: drops venv, eval results, PLAN/README/CLAUDE.md, deploy/, .git/ — keeps the image lean. corpus + chroma + bm25 explicitly NOT in dockerignore (those go INTO the image). Co-Authored-By: Claude Opus 4.7 (1M context) <noreply@anthropic.com>
1352 lines
69 KiB
Markdown
1352 lines
69 KiB
Markdown
# MON 89034 X MIR162 X MON 87411 INSECT-PROTECTED, HERBICIDE-TOLERANT CORN
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- EPA Reg No: **524-635**
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- Registrant: BAYER CROPSCIENCE, LLC
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- Signal word: Caution
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- Active ingredients: Bacillus thuringiensis Cry1A.105 protein and genetic material necessary (vector PV-ZMIR245) for its production in corn (0.0027%); Bacillus thuringiensis Cry2Ab2 protein and the genetic material necessary (vector PV-ZMIR245) for its production in corn (0.0071%); dsRNA transcript comprising a DvSnf7 inverted repeat sequence derived from western corn rootworm (Diabrotica virgifera) and the genetic material necessary for its production MON 87411 corn (3.7e-07%); Bacillus thuringiensis Cry3Bb1 protein and the genetic material necessary for its procuction (vector PV -ZMIR10871) in corn event MON 87411 (0.0086%); Bacillus thuringiensis Vip3Aa20 protein encoded by vector pNOV1300 in event MIR162 corn (SYN-IR162-4), % dw (0.014%)
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- Label accepted: 2022-01-26
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- Source PDF: https://www3.epa.gov/pesticides/chem_search/ppls/000524-00635-20220126.pdf
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---
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UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
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WASHINGTON, D.C. 20460
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OFFICE OF CHEMICAL SAFETY
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AND POLLUTION PREVENTION
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January 26, 2022
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Edwards Allen, Ph.D.
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Global Regulatory Manager
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Bayer Crop Science LP
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800 N Lindbergh Blvd
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St. Louis, MO 63167
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Subject: Pesticide Registrati on Improvement Act (PRIA) Amendment – Conversion of a seed
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increase registration to a commercial use registration
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Product Name: MON 89034 x MIR162 x MON 87411
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EPA Registration Number: 524-635
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Application Date: March 26, 2021
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OPP Case Number: 00297234
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Dear Dr. Allen:
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The amendment referred to above, submitted in connection with registration under Section 3(c)(5) of the
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Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA), as amended, is acceptable provided that
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you comply with the updated terms and conditions as described in this letter.
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1. The subject registration will automatically expire at midnight on January 31, 2023.
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2. The subject registration is limited to Bacillus thuringiensis Cry1A.105 and Cry2Ab2 proteins
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and the genetic material necessary for their production (PV-ZMIR245) in MON 89034 corn
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(OECD Unique Identifier MON-89Ø34-3), Bacillus thuringiensis Vip3Aa20 protein and the
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genetic material necessary for its production (pNOV1300) in MIR 162 corn (OECD Unique
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Identifier SYN-IR162-4), and Bacillus thuringiensis Cry3Bb1 protein and DvSnf7 dsRNA and
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the genetic material necessary for their production (PV-ZMIR10871) in MON 87411 corn
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(OECD Unique Identifier MON-87411-9).
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3. Submit and/or cite all data required for registration or registration review of your product when
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the Environmental Protection Agency (EPA) requires all registrants of similar products to submit
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such data.
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4. This plant-incorporated protectant (PIP) may be combined through conventional breeding with
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other registered plant-incorporated protectants that are similarly approved for use in
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combination, through conventional breeding, with other registered plant-incorporated protectants
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to produce inbred corn lines and hybrid corn varieties with combined pesticidal traits.
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Page 2 of 22
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EPA Reg. No. 524-635
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OPP Case No. 00297234
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5. Bayer Crop Science, LP (Bayer), must commit to do the following Insect Resistance
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Management (IRM) Program, consisting of the following elements:
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Requirements for Bayer to implement an IPM-based stewardship program designed to
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reduce selection pressure for corn rootworm (CRW) resistance.
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Requirements relating to creation of a non-Bt refuge in conjunction with the planting of
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any acreage of MON 89034 x MIR162 x MON 87411 corn.
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Requirements for Bayer to prepare and require MON 89034 x MIR162 x MON 87411 corn
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users to sign grower agreements that impose binding contractual obligations on growers to
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comply with the refuge requirements.
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Requirements for Bayer to develop, implement, and report to EPA on programs to educate
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growers about IRM requirements.
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Requirements for Bayer to develop, implement, and report to EPA on programs to
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evaluate and promote growers’ compliance with IRM requirements.
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Requirements for Bayer to develop, implement, and report to EPA on monitoring
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programs to evaluate whether there are statistically significant and biologically relevant
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changes in susceptibility to the Cry1A.105, Cry2Ab2, and Vip3Aa20 proteins in the target
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insects.
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Requirements for Bayer to develop, and if triggered, to implement a remedial action plan
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that would contain measures Bayer would take in the event that any field-relevant insect
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resistance to Cry1A.105, Cry2Ab2, and/or Vip3Aa20 was detected, as well as to report on
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activity under the plan to EPA.
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Requirements for Bayer to investigate reports of unexpected CRW damage to MON 89034 x
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MIR162 x MON 87411 corn from growers (“performance inquiries”) and sample CRW to
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determine if the insects are resistant to Cry3Bb1 and/or DvSnf7.
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Requirements for Bayer to recommend CRW management options to growers in
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response to cases of unexpected CRW damage to MON 89034 x MIR162 x MON 87411
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corn.
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Requirements regarding mitigation and notification actions that Bayer would take in
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the event that CRW resistance was detected.
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Requirements for Bayer to maintain, and provide the Agency upon request, the number
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of units sold by state and county, IRM grower agreement results, and substantive changes
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to educational programs. Bayer is required to submit reports within three months of the
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Agency’s request.
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Bag Tag Requirements for MON 89034 x MIR162 x MON 87411 corn. Seed bags and/or bag
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tags for corn hybrids that contain plant-incorporated protectants produced in MON 89034 x
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Page 3 of 22
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EPA Reg. No. 524-635
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OPP Case No. 00297234
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MIR162 x MON 87411 corn must display the registration number and active ingredients, and
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stipulate that growers read the Bayer Stewardship Guide (or equivalent guidance) prior to
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planting these hybrids. The refuge size requirement must be displayed on the bag or bag tag
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in both text and graphic format.
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Requirements for Bayer to submit reports on CRW IPM Stewardship and resistance
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monitoring within the time frames specified in this letter.
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a. Integrated Pest Management Stewardship Program
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1. Bayer must implement an IPM-based stewardship program for MON 89034 x MIR162 x MON
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87411 corn. This program must be designed to reduce selection pressure for corn rootworm
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(CRW) resistance by encouraging growers to engage in a multi-year crop rotation strategy
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involving the use of one or more of the following: a non-CRW host crop (e.g., soybean),
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pyramided Bt corn Plant Incorporated Protectants (PIPs), other PIP corn products with different
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modes of action, and/or non-Bt or non-CRW protected Bt corn. As part of the stewardship
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program, Bayer must update the technology use guide/grower guide and other grower
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educational materials to indicate that application of an insecticide to the soil surface, in furrows,
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and/or incorporated into the soil (referred to as “soil applied insecticide,” “soil insecticide” or
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“SAI”) with MON 89034 x MIR162 x MON 87411 corn is not recommended for control of
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CRW except under limited circumstances and in consultation with extension, crop consultants or
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other local experts. Grower education materials should also state that SAIs should not be
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necessary for CRW control with pyramided CRW trait Bt corn product(s). As part of the
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stewardship program, Bayer must promote the ABSTC/NCGA Best Management Practices
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(BMPs) for CRW control. Implementation of the IPM strategy can include:
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Grower education initiatives or incentives.
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Outreach to extension and consultant groups.
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2. Bayer must submit an annual report to EPA documenting activities conducted under the IPM
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stewardship program. This report must include an anonymous survey of grower practices,
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including adoption levels of the various crop rotation options (if employed) and other elements
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of the stewardship program. Bayer may combine this product with other registered products to
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submit one annual report. The report must be submitted by January 31st each year.
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b. Refuge Requirements for MON 89034 x MIR162 x MON 87411
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These refuge requirements do not apply to seed increase/propagation of inbred and hybrid seed corn up
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to a total of 20,000 acres per county and up to a combined United States (U.S.) total of 250,000 acres
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per plant-incorporated protectant (PIP) active ingredient per registrant per year. Grower agreements
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(also known as stewardship agreements) will specify that growers must adhere to the refuge
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requirements as described in the grower guide/product use guide and/or in supplements to the grower
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guide/product use guide.
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The following information must be included on the product bag or bag-tag as sold per respective region
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and in the Grower Guide:
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Page 4 of 22
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EPA Reg. No. 524-635
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OPP Case No. 00297234
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Common Refuge: A common refuge must be planted for both corn borers and corn rootworm.
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i. The common refuge must be planted with corn hybrids that do not contain Bt
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technologies for the control of corn rootworm or corn borers.
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ii. The common refuge and MON 89034 x MIR162 x MON 87411 corn must be sown on
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the same day, or with the shortest window possible between planting dates.
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iii. If the common refuge is planted on rotated ground then the MON 89034 x MIR162 x
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MON 87411 corn field must also be planted on rotated ground.
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iv. If the combined refuge is planted on continuous corn, the MON 89034 x MIR162 x MON
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87411 field may be planted on either continuous or rotated land (option encouraged
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where WCRW rotation resistant biotype may be present).
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v. Refuge options are based on the planting of MON 89034 x MIR162 x MON 87411 corn
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in cotton or non-cotton growing regions and the insect pressure in those locations. The
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refuge sizes for these regions are available in Table 1 below:
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Table 1. Refuge Requirements for MON 89034 x MIR162 x MON 87411
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Region Refuge
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Size
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In-field or
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adjacent
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refuge is
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allowed
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Refuge
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separated
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by up to
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1/2 mile is
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allowed
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Cotton growing where CEW is a significant pest and WCRW, NCRW
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and MCRW are not significant: AR, NC, SC, GA, FL, TN (only the
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counties of Carroll, Chester, Crockett, Dyer, Fayette, Franklin, Gibson,
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Hardeman, Hardin, Haywood, Lake, Lauderdale, Lincoln, Madison,
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Obion, Rutherford, Shelby, and Tipton) AL, MS, LA, VA (only the
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counties of Dinwiddie, Franklin City, Greensville, Isle of Wight,
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Northampton, Southampton, Suffolk City, Surrey, and Sussex)
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20% non-
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Bt corn
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Yes Yes
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Cotton growing where CEW is a significant pest and WCRW, NCRW,
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and/or MCRW are significant: TX (except the counties of Carson,
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Dallam, Hansford, Hartley, Hutchinson, Lipscomb, Moore, Ochiltree,
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Roberts, and Sherman), OK (only the counties of Beckham, Caddo,
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Comanche, Custer, Greer, Harmon, Jackson, Kay, Kiowa, Tillman, and
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Washita), MO only the counties of Dunkin, New Madrid, Pemiscot,
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Scott, and Stoddard).
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20% non-
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Bt corn
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Yes No
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Cotton growing where CEW is not a significant pest and WCRW,
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NCRW and MCRW are not significant: NM, AZ, CA, NV
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5% non-Bt
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corn
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Yes Yes
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Page 5 of 22
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EPA Reg. No. 524-635
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OPP Case No. 00297234
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Region Refuge
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Size
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In-field or
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adjacent
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refuge is
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allowed
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Refuge
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separated
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by up to
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1/2 mile is
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allowed
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Non-cotton growing where WCRW, NCRW and MCRW are not
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significant OR, WA, ID, MT, WY, UT, VA (except the counties of
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Dinwiddie, Franklin City, Greensville, Isle of Wight, Northampton,
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Southampton, Suffolk City, Surrey, and Sussex), WV, PA, MD, DE,
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CT, RI, NJ, NY, ME, MA, NH, VT, HI, AK, TN (except the counties
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of Carroll, Chester, Crockett, Dyer, Fayette, Franklin, Gibson,
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Hardeman, Hardin, Haywood, Lake, Lauderdale, Lincoln, Madison,
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Obion, Rutherford, Shelby, and Tipton)
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5% non-Bt
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corn
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Yes Yes
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Non-cotton growing where WCRW, NCRW and/or MCRW are
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significant: KS, NE, SD, ND, MN, IA, MO (except the counties of
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Dunkin, New Madrid, Pemiscot, Scott, and Stoddard), IL, WI, MI, IN,
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OH, KY, CO, OK (except the counties of Beckham, Caddo, Comanche,
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Custer, Greer, Harmon, Jackson, Kay, Kiowa, Tillman, and Washita),
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TX (only the counties of Carson, Dallam, Hansford, Hartley,
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Hutchinson, Lipscomb, Moore, Ochiltree, Roberts, and Sherman)
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5% non-Bt
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corn
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Yes No
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vi. If corn rootworms are significant within a region, the structured refuge must be planted as
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an in-field or adjacent refuge using corn hybrids that do not contain Bt technologies for
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the control of corn borers or corn rootworms.
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vii. The common refuge may be planted as an in-field or adjacent (e.g., across the road)
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refuge or as a separate block within 1/2 mile of the MON 89034 x MIR162 x MON
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87411 corn field.
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viii. In field refuge options include: blocks, perimeter strips (i.e., along the edges or
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headlands), or in-field strips.
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ix. When planting the refuge in strips across the field, refuges must be at least four (4) rows
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wide.
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x. The common refuge can be protected from lepidopteran damage by use of non-Bt
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insecticides if the population of one or more target lepidopteran pests of MON 89034 x
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MIR162 x MON 87411 corn in the refuge exceeds economic thresholds. In addition, the
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refuge can be protected from CRW damage by an appropriate seed treatment or soil
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insecticide; however, insecticides labeled for adult CRW control must be avoided in the
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refuge during the period of CRW adult emergence. If insecticides are applied to the
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refuge for control of CRW adults, the same treatment must also be applied in the same
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timeframe to MON 89034 x MIR162 x MON 87411 corn fields. Economic thresholds
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will be determined using methods recommended by local or regional professionals (e.g.,
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Extension Service agents, crop consultants).
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Page 6 of 22
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EPA Reg. No. 524-635
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OPP Case No. 00297234
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xi. If corn rootworms are not significant within a region, the structured refuge may be
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planted as an in-field or adjacent refuge or as a separate block that is within 1/2 mile of
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the MON 89034 x MIR162 x MON 87411 corn field. The structured refuge must be
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planted with corn hybrids that do not contain Bt technologies for the control of corn
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borers or corn rootworms. Economic thresholds will be determined using methods
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recommended by local or regional professionals (e.g., Extension Service agents, crop
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consultants).
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c. Grower Agreements for MON 89034 x MIR162 x MON 87411
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1. Persons purchasing MON 89034 x MIR162 x MON 87411 corn must sign a grower agreement.
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The term grower agreement refers to any grower purchase contract, license agreement, or similar
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legal document.
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2. The grower agreement and/or specific stewardship documents referenced in the grower
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agreement must clearly set forth the terms of the current IRM program. By signing the grower
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agreement, a grower must be contractually bound to comply with the requirements of the IRM
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program.
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3. Bayer must continue to integrate this registration into the current system used for its other Bt
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corn plant- incorporated protectants, which is reasonably likely to assure that persons purchasing
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MON 89034 x MIR162 x MON 87411 corn will affirm annually that they are contractually
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bound to comply with the requirements of the IRM program.
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4. Bayer must continue to use its current grower agreement for MON 89034 x MIR162 x MON
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87411 corn. If Bayer wishes to change any part of the grower agreement or any specific
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stewardship documents referenced in the grower agreement that would affect either the content
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of the IRM program or the legal enforceability of the provisions of the agreement relating to the
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IRM program, then thirty (30) days prior to implementing a proposed change, Bayer must submit
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to EPA the text of such changes to ensure that it is consistent with the terms and conditions of
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this amended registration.
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5. Bayer shall maintain records of all MON 89034 x MIR162 x MON 87411 corn grower
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agreements for a period of three (3) years from December 31st of the year in which the
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agreement was signed.
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6. Bayer shall make available to the Agency upon request records of the number of units of MON
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89034 x MIR162 x MON 87411 corn seed sold or shipped and not returned, and the number of
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such units that were sold to persons who have signed grower agreements for the previous
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growing season. Bayer is required to submit reports within three months of the Agency’s request.
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7.
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Bayer must allow a review of the grower agreements and grower agreement records by EPA or
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by a State pesticide regulatory agency if the State agency can demonstrate that confidential
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business information, including names, personal information, and grower license numbers of the
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growers, will be protected.
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Page 7 of 22
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EPA Reg. No. 524-635
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OPP Case No. 00297234
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d. IRM Education and IRM Compliance Monitoring Program for MON 89034 x MIR162 x MON
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87411
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1. Bayer must implement and enhance (as set forth in paragraph 17 of this section) a
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comprehensive, ongoing IRM education program designed to convey to MON 89034 x MIR162
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x MON 87411 corn users the importance of complying with the IRM program. The program
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shall include information encouraging MON 89034 x MIR162 x MON 87411 corn users to
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pursue optional elements of the IRM program relating to refuge configuration and proximity to
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MON 89034 x MIR162 x MON 87411 corn fields. The education program shall involve the use
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of multiple media, e.g. face-to-face meetings, mailing written materials, EPA-reviewed language
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on IRM requirements on the bag or bag tag, and electronic communications such as by internet,
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radio, or television commercials. The program shall involve at least one written communication
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annually to each MON 89034 x MIR162 x MON 87411 corn user separate from the grower
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technical guide. The communication shall inform the user of the current IRM requirements.
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Bayer shall coordinate its education program with the educational efforts of other registrants and
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other organizations, such as the National Corn Growers Association and state extension
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programs.
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2. Bayer shall revise, and expand as necessary, its education program to take into account the
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information collected through the compliance survey, required under paragraphs 6–9 of this
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section, and from other sources. The changes shall address aspects of grower compliance that are
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not sufficiently high.
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3. Upon EPA request, Bayer shall provide copies of grower education materials and information on
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grower education activities including any substantive changes to these materials and activities
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conducted either individually or as part of the industry working group Agricultural
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Biotechnology Stewardship Technical Committee (ABSTC). Bayer is required to submit reports
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||
within three months of the Agency’s request. The required features of the compliance assurance
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program are described in paragraphs 4–22 of this section.
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4. Bayer must implement and improve an ongoing IRM compliance assurance program designed
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||
to evaluate the extent to which growers purchasing MON 89034 x MIR162 x MON 87411 corn
|
||
are compliant with the IRM program, and that takes such actions as are reasonably needed to
|
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assure that growers who have not complied with the program either do so in the future or lose
|
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their access to Bayer’s Bt corn products. Bayer shall coordinate with other Bt corn registrants in
|
||
improving its compliance assurance program and integrate this registration into the current
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compliance assurance program used for its other Bt corn plant-incorporated protectants. Other
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required features of the program are described in paragraphs 5–22 of this section.
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5. Bayer must maintain and publicize a phased compliance approach (i.e., a guidance document that
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indicates how it will address instances of non-compliance with the terms of the IRM program
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and general criteria for choosing among options for responding to any non-compliant growers
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after the first year of non-compliance). While recognizing that for reasons of difference in
|
||
business practices there are needs for flexibility between different companies, Bayer must use a
|
||
consistent set of standards for responding to non-compliance. An individual grower found to be
|
||
significantly out of compliance two (2) years in a row would be denied access the next year to
|
||
Bayer’s Bt corn products for which the grower is required to plant a separate structured refuge.
|
||
|
||
Page 8 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
Similarly, seed dealers who are not fulfilling their obligations to inform/educate growers of their
|
||
IRM obligations will lose their opportunity to sell Bt corn.
|
||
|
||
6. The IRM compliance assurance program shall include an annual survey, conducted by an
|
||
independent third party, of a statistically representative sample of growers MON 89034 x
|
||
MIR162 x MON 87411 corn. The survey shall be conducted in odd-numbered years beginning in
|
||
2023 and shall include growers who plant 100 or more acres of corn in the Southern U.S. corn-
|
||
cotton areas. Bayer may collaborate with other registrants of Bt corn [for example, through the
|
||
industry working group the Agricultural Biotechnology Stewardship Technical Committee
|
||
(ABSTC)] to conduct the survey.
|
||
|
||
In the U.S. Corn Belt, no anonymous grower survey is required for MON 89034 x MIR162 x
|
||
MON 87411 corn if Bayer can demonstrate that the industry-wide adoption of integrated refuge
|
||
products (i.e., refuge seed blends) is equal to or greater than 70% of Bt corn acres in the Corn
|
||
Belt. If industry- wide adoption of integrated refuge products (i.e., refuge seed blends) falls
|
||
below 70% of Bt corn acres in the Corn Belt, an anonymous grower survey shall also be
|
||
conducted in this region during the next growing season using a statistically representative
|
||
sample of growers who plant 200 or more acres of corn, and grower surveys shall be continued
|
||
every odd numbered year until the industry-wide adoption of integrated refuge products (i.e.,
|
||
refuge seed blends) is again equal to or greater than 70% of Bt corn acres in this region. Bayer
|
||
may collaborate with other registrants of Bt corn (for example, through the industry working
|
||
group the ABSTC) to compile the integrated refuge adoption data and to conduct the surveys.
|
||
|
||
Alternatively, if Bayer is not a participant of an industry working group (e.g., the ABSTC) and
|
||
Bayer’s sales of integrated refuge products are equal to or greater than 70% of Bayer’s total Bt
|
||
corn sales in the prior year, then no anonymous grower survey is required in the U.S. Corn Belt.
|
||
If Bayer’s sales of integrated refuge products fall below 70% of Bayer’s total Bt corn sales, an
|
||
anonymous grower survey shall also be conducted in this region during the next growing season
|
||
using a statistically representative sample of growers who plant 200 or more acres of corn, and
|
||
grower surveys shall be continued every odd-numbered year until sales of integrated refuge
|
||
products (i.e., refuge seed blends) are again equal to or greater than 70% of Bayer’s total Bt corn
|
||
sales in this region.
|
||
|
||
A third party is classified as a party other than the registrant, the grower, or anyone else
|
||
with a direct interest in IRM compliance for Bt corn.
|
||
|
||
7. The survey shall be designed to provide an understanding of any difficulties growers encounter
|
||
in implementing IRM requirements. An analysis of survey results must include the reasons,
|
||
extent, and potential biological significance of any implementation deviations.
|
||
|
||
8. The survey shall be designed to obtain grower feedback on the usefulness of specific educational
|
||
tools and initiatives.
|
||
|
||
9. In years in which the survey is conducted, Bayer shall provide a final written summary of the
|
||
results of the survey (together with a description of the regions, the methodology used, and the
|
||
supporting data) to EPA on or before January 31st of the following year. Bayer shall confer with
|
||
other registrants and EPA on the design and content of the survey prior to its implementation.
|
||
|
||
Page 9 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
10. Bayer shall revise, and expand as necessary, its compliance assurance program to take into
|
||
account the information collected through the compliance survey, required under paragraphs 6–9
|
||
of this section, and from other sources. The changes shall address aspects of grower compliance
|
||
that are not sufficiently high. Bayer must confer with EPA prior to adopting any changes.
|
||
|
||
11. Bayer shall conduct and enhance an annual on-farm assessment program. Bayer shall train its
|
||
representatives who make on-farm visits with MON 89034 x MIR162 x MON 87411 corn
|
||
growers to perform assessments of compliance with IRM requirements. There is no minimum
|
||
corn acreage size for this program. Therefore, growers will be selected for this program from
|
||
across all farm sizes. In the event that any of these visits result in the identification of a grower
|
||
who is not in compliance with the IRM program, Bayer shall take appropriate action, consistent
|
||
with its phased compliance approach, to promote compliance.
|
||
|
||
12. Bayer shall implement a program for investigating legitimate tips and complaints that MON
|
||
89034 x MIR162 x MON 87411 corn growers are not in compliance with the IRM program.
|
||
Whenever an investigation results in the identification of a grower who is not in compliance with
|
||
the IRM program, Bayer shall take appropriate action, consistent with its phased compliance
|
||
approach.
|
||
|
||
13. If a grower, who purchases MON 89034 x MIR162 x MON 87411 corn for planting, was
|
||
specifically identified as not being in compliance during the previous year, Bayer shall visit with
|
||
the grower and evaluate whether the grower is in compliance with the IRM program for the
|
||
current year.
|
||
|
||
14. Annually, by January 31st each year, Bayer must provide a report to EPA summarizing the MON
|
||
89034 x MIR162 x MON 87411 compliance assurance program activities and results for the
|
||
prior year and plans for the MON 89034 x MIR162 x MON 87411 compliance assurance
|
||
program for the current year. Within one month of submitting this report to EPA, the registrant
|
||
shall meet with EPA to discuss its findings. The report must inform EPA of the number of
|
||
growers deemed ineligible to purchase Bt corn seed on the basis of continued non-compliance
|
||
with the insect resistance management refuge requirements. Bayer may elect to coordinate
|
||
information with other registrants and report collectively the results of compliance assurance
|
||
programs.
|
||
|
||
15. Bayer and the seed corn dealers for Bayer must allow a review of the compliance records by
|
||
EPA or by a State pesticide regulatory agency if the State agency can demonstrate that
|
||
confidential business information, including the names, personal information, and grower license
|
||
numbers of the growers, will be protected.
|
||
|
||
16. Bayer shall revise and expand its existing Compliance Assurance Program to include the
|
||
following elements. The registrant may coordinate with other registrants in designing and
|
||
implementing its Compliance Assurance Program.
|
||
|
||
17. Bayer will enhance the refuge education program throughout the seed delivery channel:
|
||
|
||
Ensure sales representatives, licensees, seed dealers, and growers recognize the
|
||
importance of correct refuge implementation and potential consequences of failure to
|
||
plant the required refuge.
|
||
|
||
Page 10 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
|
||
Implement a “bag tag” that will be attached to all bags of MON 89034 x MIR162 x MON
|
||
87411 seed sold and delivered. The purpose of this bag tag is to remind growers that
|
||
MON 89034 x MIR162 x MON 87411 products require 50% lepidopteran refuge in
|
||
cotton growing areas. The PIP product label accepted by EPA must include how this
|
||
information will be conveyed to growers via text and graphics.
|
||
|
||
18. Bayer will focus the majority of on-farm assessments on regions with the greatest risks for
|
||
resistance:
|
||
|
||
Use Bt corn adoption, pest pressure information, and other available information to
|
||
identify regions where the risk of resistance is greatest;
|
||
|
||
Focus approximately two-thirds of on-farm assessments on these regions, with the
|
||
remaining assessments conducted across other regions where MON 89034 x MIR162 x
|
||
MON 87411 is used.
|
||
|
||
19. Bayer will use its available MON 89034 x MIR162 x MON 87411 sales records and other
|
||
information to refine grower lists for on-farm assessments of their compliance with refuge
|
||
requirements:
|
||
|
||
Identify for potential on-farm assessment growers whose sales information indicates they
|
||
have purchased MON 89034 x MIR162 x MON 87411 corn product but may have
|
||
purchased little or no refuge seed from the registrant, licensee, or affiliated company.
|
||
|
||
20. Bayer will contract with third parties to perform on-farm assessments of compliance with refuge
|
||
requirements:
|
||
|
||
The third-party assessors will conduct all first-time on-farm assessments as well as
|
||
second year on-farm assessments of those growers found out of compliance in a first-
|
||
time assessment.
|
||
|
||
21. Bayer will annually refine the on-farm assessment program for the MON 89034 x MIR162 x
|
||
MON 87411 corn product to reflect the adoption rate and level of refuge compliance for the
|
||
product.
|
||
|
||
22. Bayer will follow up with growers who have been found significantly out of compliance under
|
||
the on-farm assessment program and are found to be back in compliance the following year:
|
||
|
||
All growers found to be significantly out of compliance in a prior year will annually be
|
||
sent additional refuge assistance information for a minimum of two years by Bayer, seed
|
||
supplier, or third-party assessor, after completing the assessment process;
|
||
|
||
|
||
Bayer will conduct follow-up checks on growers found to be significantly out of
|
||
compliance within three years after they are found to be back in compliance;
|
||
|
||
Page 11 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
A grower found with a second incident of significant non-compliance with refuge
|
||
requirements for the Bt corn product within a five-year period will be denied access to
|
||
Bayer’s Bt corn products the next year. Similarly, seed dealers who are not fulfilling their
|
||
obligations to inform/educate growers of their IRM obligations will lose their opportunity
|
||
to sell Bt corn.
|
||
|
||
e. Insect Resistance Monitoring and Mi tigation Plan for MON 89034 x MIR162 x MON 87411
|
||
|
||
1. EPA is imposing the following conditions for the Cry1A.105, Cry2Ab2, and Vip3Aa20 toxins
|
||
expressed in MON 89034 x MIR162 x MON 87411
|
||
|
||
Bayer will monitor for resistance to Cry1A.105, Cry2Ab2, and Vip3Aa20 expressed in MON 89034 x
|
||
MIR162 x MON 87411. The monitoring program shall consist of two approaches: (1) focused
|
||
population sampling and laboratory testing; and (2) investigation of reports of less-than expected control
|
||
of labeled insects. Should field-relevant resistance be confirmed, an appropriate resistance management
|
||
action plan will be implemented.
|
||
|
||
Focused Population Sampling
|
||
|
||
Bayer shall annually sample and bioassay populations of the key target pests: Ostrinia nubilalis
|
||
(European corn borer; ECB), Diatraea grandiosella (southwestern corn borer; SWCB), and Helicoverpa
|
||
zea (corn earworm; CEW). Sampling for the target pests will be focused in areas identified as those with
|
||
the highest risk of resistance development (e.g., where lepidopteran active Bt hybrids are planted on a
|
||
high proportion of the corn acres, and where the insect species are regarded as key pests of corn).
|
||
Bioassay methods must be appropriate for the goal of detecting field-relevant shifts in population
|
||
response to MON 89034 x MIR162 x MON 87411 corn and/or changes in resistance allele frequency in
|
||
response to the use of MON 89034 x MIR162 x MON 87411 corn and, as far as possible, should be
|
||
consistent across sampling years to enable comparisons with historical data.
|
||
|
||
The number of populations to be collected shall reflect the regional importance of the insect species as a
|
||
pest, and specific collection regions will be identified for each pest. For ECB, a minimum of twelve (12)
|
||
populations across the sampling region will be targeted for collection at each annual sampling. For
|
||
SWCB, the target will be a minimum of six (6) populations. For CEW, the target will be a minimum of
|
||
ten (10) populations. Pest populations should be collected from multiple corn-growing states reflective
|
||
of different geographies and agronomic conditions. To obtain sufficient sensitivity to detect resistance
|
||
alleles before they become common enough to cause measurable field damage, each population
|
||
collection shall attempt to target 400 insect genomes (egg masses, larvae, mated females, and/or mixed-
|
||
sex adults), but a successful population collection will contain a minimum of 100 genomes. It is
|
||
recognized that it may not be possible to collect the target number of insect populations or genomes due
|
||
to factors such as natural fluctuations in pest density, environmental conditions, and area-wide pest
|
||
suppression.
|
||
|
||
The sampling program and geographic range of collections may be modified as appropriate based on
|
||
changes in pest importance and for the adoption levels of MON 89034 x MIR162 x MON 87411 corn.
|
||
EPA shall be consulted prior to the implementation of such modifications.
|
||
|
||
Bayer will report to EPA, on or before August 31st of each year, the results of the population sampling
|
||
and bioassay monitoring program.
|
||
|
||
Page 12 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
|
||
Any incidence of unusually low sensitivity to the Cry1A.105, Cry2Ab2, and Vip3Aa20 proteins in
|
||
bioassays shall be investigated as soon as possible to understand any field relevance of such a finding.
|
||
Such investigations shall proceed in a stepwise manner until the field relevance can be either confirmed
|
||
or refuted, and results of these shall be reported to EPA annually on or before August 31st. The
|
||
investigative steps will include the following:
|
||
|
||
i. Re-test progeny of the co llected population to determine whether the unusual bioassay
|
||
response is reproducible and heritable. If it is not reproducible and heritable, no further action
|
||
is required.
|
||
|
||
ii. If the unusual response is reproducible and heritable, progeny of insects that survive the
|
||
diagnostic concentration will be tested using methods that are representative of exposure to
|
||
MON 89034 x MIR162 x MON 87411corn under field conditions. If progeny do not survive
|
||
to adulthood, any suspected resistance is not field relevant and no further action is required.
|
||
|
||
iii. If insects survive steps 1 and 2, resistance is confirmed, and further steps will be taken to
|
||
evaluate the resistance. These steps may include the following:
|
||
|
||
a. Determining the nature of the resistance (i.e., recessive or dominant, and the level of
|
||
functional dominance);
|
||
|
||
b. Estimating the resistance allele fre quency in the original population;
|
||
|
||
c. Determining whether the resistance alle le frequency is increasing by analyzing field
|
||
collections in subsequent years sampled from the same site where the resistance
|
||
allele(s) was originally collected;
|
||
|
||
d. Determining the geographic distribution of the resistance allele by analyzing field
|
||
collections in subsequent years from sites surrounding the site where the resistance
|
||
allele(s) was originally collected.
|
||
|
||
Should field-relevant resistance be confirmed, and the resistance appears to be increasing or spreading,
|
||
Bayer will consult with EPA to develop and implement a case-specific resistance management action
|
||
plan.
|
||
|
||
Investigation of Reports of Unexpected Levels of Damage by the Target Pests
|
||
|
||
Bayer will follow up on grower, extension specialist, or consultant reports of unexpected levels of
|
||
damage by the lepidopteran pests listed on the pesticide label. Bayer will instruct its customers to
|
||
contact them if such incidents occur. Bayer will investigate all legitimate reports submitted to the
|
||
company or the company's representatives.
|
||
|
||
If reports of unexpected levels of damage lead to the suspicion of resistance in any of the key target
|
||
pests (ECB, SWCB, and CEW), Bayer will implement the actions described below, based on the
|
||
following definitions of suspected resistance and confirmed resistance.
|
||
|
||
Page 13 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
Suspected Resistance
|
||
|
||
EPA defines suspected resistance to mean field reports of unexpected levels of insect feeding damage
|
||
for which:
|
||
|
||
The corn in question has been confirmed to be lepidopteran-active Bt corn;
|
||
|
||
The relevant plant tissues are expressing the expected level of Bt protein; and
|
||
|
||
It has been ruled out that species not susceptible to the protein could be responsible for
|
||
the damage, that no climatic or cultural reasons could be responsible for the damage, and
|
||
|
||
That there could be no other reasonable causes for the damage.
|
||
|
||
EPA does not interpret suspected resistance to mean grower reports of possible control failures or
|
||
suspicious results from annual insect monitoring assays, nor does EPA intend that extensive field studies
|
||
and testing be undertaken to confirm scientifically the presence of insects resistant to MON 89034 x
|
||
MIR162 x MON87411corn in commercial production fields before responsive measures are undertaken.
|
||
|
||
If resistance is suspected, Bayer will instruct growers to do the following:
|
||
|
||
Use alternative control measures in MON 89034 x MIR162 x MON 87411 corn fields in the
|
||
affected region to control the target pest during the immediate growing season.
|
||
|
||
Destroy MON 89034 x MIR162 x MON 87411 corn crop residues in the affected region
|
||
within one (1) month after harvest with a technique appropriate for local production practices
|
||
to minimize the possibility of resistant insects over- wintering and contributing to the next
|
||
season's target pest population.
|
||
|
||
Additionally, if possible, and prior to the application of alternative control measures or destruction of
|
||
crop residues, Bayer will collect samples of the insect population in the affected fields for laboratory
|
||
rearing and testing. Such rearing and testing shall be conducted as expeditiously as practical.
|
||
|
||
Confirmed Resistance
|
||
|
||
EPA defines confirmed resistance to mean, in the case of field reports of unexpected levels of damage
|
||
from the key target pests, that all the following criteria are met:
|
||
|
||
There is >30% insect survival and commensurate insect feeding in a bioassay, initiated with
|
||
neonate larvae, that uses methods that are representative of exposure to Bt corn hybrids under
|
||
field conditions (ECB and SWCB only).
|
||
|
||
In standardized laboratory bioassays using diagnostic concentrations of the Bt protein suited
|
||
to the target pest in question, the pest exhibits resistance that has a genetic basis and the level
|
||
of survivorship indicates that there may be a resistance allele frequency of ≥ 0.1 in the
|
||
sampled population.
|
||
|
||
Page 14 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
In standardized laboratory bioassays, the LC50 exceeds the upper limit of the 95%
|
||
confidence interval of the LC50 for susceptible populations surveyed both in the original
|
||
baselines developed for this pest species and in previous years of field monitoring.
|
||
|
||
Response to Confirmed Resistance in a Key Target Pest as the Cause of Unexpected Levels of Damage
|
||
in the Field
|
||
|
||
When field resistance is confirmed (as defined above), the following steps will be taken by Bayer:
|
||
|
||
EPA will receive notification within 30 days of resistance confirmation;
|
||
|
||
Affected customers and extension agents will be notified about confirmed resistance
|
||
within 30 days;
|
||
|
||
Monitoring will be increased in the affected area and local target pest populations will
|
||
be sampled annually to determine the extent and impact of resistance;
|
||
|
||
If appropriate (depending on the resistant pest species, the extent of resistance, the timing of
|
||
resistance, and the nature of resistance, and the availability of suitable alternative control
|
||
measures), alternative control measures will be employed to reduce or control target pest
|
||
populations in the affected area. Alternative control measures may include advising
|
||
customers and extension agents in the affected area to incorporate crop residues into the soil
|
||
following harvest to minimize the possibility of over-wintering insects, and/or applications of
|
||
chemical insecticides;
|
||
|
||
Unless otherwise agreed with EPA, stop sale and distribution of the relevant lepidopteran-
|
||
active Bt corn hybrids in the affected area immediately until an effective local mitigation
|
||
plan, approved by EPA, has been implemented;
|
||
|
||
Bayer will develop a case-specific resistance management action plan within 90 days
|
||
according to the characteristics of the resistance event and local agronomic needs. Bayer will
|
||
consult with appropriate stakeholders in the development of the action plan, and the details of
|
||
such a plan shall be approved by EPA prior to implementation;
|
||
|
||
Bayer will notify affected parties (e.g., growers, consultants, extension agents, seed
|
||
distributors, university cooperators, and state/federal authorities as appropriate) in the region
|
||
of the resistance situation and approved action plan; and
|
||
|
||
In subsequent growing seasons, maintain sales suspension and alternative resistance
|
||
management strategies in the affected region(s) for the Bt corn hybrids that are affected by
|
||
the resistant population until an EPA-approved local resistance management plan is in place
|
||
to mitigate the resistance.
|
||
|
||
A report on results of resistance monitoring and investigations of damage reports must be
|
||
submitted to EPA, on or before August 31st of each year, for the duration of the registration.
|
||
|
||
Page 15 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
2. EPA is imposing the following conditions for the Cry3Bb1 and DvSnf7 toxins expressed in
|
||
MON 89034 x MIR162 x MON 87411:
|
||
|
||
a) Investigation of Reports of Unexpected Levels of Damage (UXD) by Corn Rootworm (CRW):
|
||
Performance Inquiries
|
||
|
||
1. Bayer is required to investigate "performance inquiries" (i.e., reports of unexpected CRW
|
||
damage to MON 89034 x MIR162 x MON 87411 corn) from growers. Fields (defined as a
|
||
tract separated by permanent boundaries such as fences, permanent waterways, woodlands,
|
||
croplines not subject to change because of farming practices, or other similar features) with
|
||
unexpected damage that meet both of the criteria below must be subjected to the follow-up
|
||
actions in part 2) below:
|
||
|
||
a. The affected plants are confirmed to be MON 89034 x MIR162 x MON 87411 corn
|
||
plants (take leaf samples to determine the presence of the CRW-active Bt protein);
|
||
and
|
||
|
||
b. Corn rootworm feeding caused root dama ge with a Node Injury Score (NIS) > 0.5 on
|
||
at least 50% of plants surveyed in a transect sampling of the damaged site(s) within
|
||
the field.
|
||
|
||
2. Follow-up actions (performance inquir ies). For MON 89034 x MIR162 x MON 87411 corn
|
||
fields meeting the criteria in part 1) above, Bayer must take the following actions:
|
||
|
||
a. Collect at least 250 (ideally 500 or mo re) CRW adult individuals from the damaged
|
||
site within the field in question. Collections may be extended to the whole field, if
|
||
necessary to obtain sufficient CRW adult individuals. Collected populations must be
|
||
subjected to the steps described for "investigation of populations of concern" in
|
||
section e(2)(b) below.
|
||
|
||
If collections are unsuccessful, visit affected farm or field the following year
|
||
(assuming the grower continues to be a customer and repurchases seed and does
|
||
not rotate the field to a non-host crop) and attempt to collect CRW adults. If
|
||
beetles are not present the subsequent year, see section e(2)(b)(3)(c) below.
|
||
|
||
b. Review with the grower their CRW management practices and provide CRW
|
||
management recommendations including an assessment of corn fields with similar
|
||
trait(s) adjacent to the affected corn field that are managed by the same grower.
|
||
|
||
c. Use of single trait products containi ng the CRW traits in MON 89034 x MIR162 x
|
||
MON 87411 in fields with unexpected damage in previous years should be
|
||
discouraged. Recommended management options include, but are not limited to, the
|
||
following:
|
||
|
||
Primary option:
|
||
|
||
o Rotation to non-host crop (e.g., soybean)
|
||
|
||
Page 16 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
|
||
Secondary options:
|
||
|
||
o Use of pyramided Bt corn products one or more different CRW PIP trait(s);
|
||
|
||
o Use of different single-CRW PIP traits (i.e., an alternative CRW-active PIP);
|
||
|
||
o Use of non-Bt or non-CRW protected corn.
|
||
|
||
Tertiary options:
|
||
|
||
o If additional pest management need is determined beyond the secondary
|
||
options listed above, use of the same pyramided Bt corn product is acceptable
|
||
if it is very unlikely that both of the traits are affected (e.g., the affected field
|
||
experienced UXD to one of the traits in the product in the previous year, the
|
||
NIS is less than 1.0, there has been no continuous use of the second trait in the
|
||
product in the affected field, and Bayer has not been informed of resistance to
|
||
the second trait in the county).
|
||
|
||
o Additional corn rootworm control tools (e.g., soil applied insecticides,
|
||
chemigation) should be considered.
|
||
|
||
d. If field(s) with UXD is/are planted to a non-host crop (e.g., soybean) the following
|
||
year, then the area will be considered “mitigated” (as discussed in section
|
||
e(2)(b)(3)(d) below) even if subsequent bioassay results show that the population was
|
||
resistant. No further action will be required by Bayer for the UXD case.
|
||
|
||
3. Bayer must submit an annual report to EPA de tailing activities related to investigations of
|
||
unexpected damage (UXD). This report will include the information from the most recent
|
||
and previous corn growing seasons:
|
||
|
||
a. Information from the most recent season:
|
||
|
||
The number of UXD reports investigated;
|
||
|
||
Location (by county and state);
|
||
|
||
CRW sampling (number and location of populations collected).
|
||
|
||
b. Information from the previous season:
|
||
|
||
The final disposition of UXD fields from the previous season (i.e., the
|
||
management practices employed in response to UXD if the grower continues to
|
||
be a customer;
|
||
|
||
Results from bioassays conducted on CRW populations from UXD fields where
|
||
the primary management option, rotation to non-host crop, was not used.
|
||
|
||
Page 17 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
|
||
c. Grower information, such as farm ad dresses or other personally identifiable
|
||
information, or other sensitive business/customer information must not be included in
|
||
this report. This report must be submitted by November 30th each year.
|
||
|
||
b) Investigation of Population of Concern
|
||
|
||
1. Bayer must conduct investigations of all CRW populations collected as part of the
|
||
performance inquiry process in section e(2)(a) above. These investigations must include the
|
||
use of an EPA-approved bioassay to determine if sampled CRW populations are resistant to
|
||
any of the CRW PIP toxins in MON 89034 x MIR162 x MON 87411. Acceptable assays
|
||
must be able to function as diagnostic tools capable of distinguishing resistant populations
|
||
from susceptible ones. Unless previously approved, Bayer must consult with EPA on their
|
||
bioassay prior to its use.
|
||
|
||
2. A CRW population will be considered by EPA to be resistant to a CRW PIP toxin if the
|
||
following criteria are met and additional collections and testing are not deemed to be
|
||
necessary (based on part 3) below):
|
||
|
||
a. An initial performance inqui ry investigation results in a finding of Unexpected Damage;
|
||
and
|
||
|
||
b. Where green tissues are available and if pl ants are unusually stressed due to agronomic
|
||
and/or environmental factors, Bt protein levels in affected plants are found to be within
|
||
the documented range for that hybrid (if data are available); and
|
||
|
||
Either (A): On-plant bioassays of insect collections from the UXD fields result in the
|
||
following two statistically relevant comparisons
|
||
|
||
i. A statistically significant difference in measures of either mortality or sublethal effects
|
||
(growth/development) between the field population and a relevant susceptible control
|
||
population (i.e., one that responds as a typical susceptible field population) on Bt corn
|
||
containing the single PIP and/or lack of a statistically significant difference in measures
|
||
of mortality or sublethal effect between the field population and a resistant positive
|
||
control population
|
||
1; and
|
||
|
||
ii. A lack of a statistically significant difference in the same measures of the field population
|
||
raised on Bt corn containing the single PIP and non-Bt corn plants.
|
||
|
||
Or (B): Sublethal seedling bioassay of insect collections from the UXD fields result in two
|
||
statistically relevant comparisons
|
||
|
||
i. A statistically significant difference in measures of sublethal effects
|
||
(growth/development) for populations on Bt corn containing the single PIP (normalized
|
||
using non-Bt) seedlings between the field population and a relevant susceptible control
|
||
|
||
1 If a resistant positive control population is not available or accessible, Bayer must consult with EPA prior to initiating
|
||
bioassays and work to develop an appropriate resistant positive control population.
|
||
|
||
Page 18 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
population where available or historical field populations and/or lack of a statistically
|
||
significant difference in measures between the field population and a resistant positive
|
||
control population1; and
|
||
|
||
ii. A lack of a statistically significant difference in the same measures of the field population
|
||
raised on Bt corn seedlings containing the single PIP and non-Bt corn seedlings
|
||
|
||
Or (C): Diet-based bioassays of insect collections from the UXD fields result in two
|
||
statistically relevant comparisons
|
||
|
||
i. A statistically significant difference in measures of lethal or sublethal effects
|
||
(growth/development) on diet containing the Bt protein (diagnostic concentration or
|
||
concentration-response measures) between the field population and a relevant susceptible
|
||
control population where available or historical field populations and/or lack of a
|
||
statistically significant difference in measures between field population and a resistant
|
||
positive control population1; and
|
||
|
||
ii. Either a lack of a statistically significant difference in the same measures of the field
|
||
population exposed to diet containing the Bt protein (diagnostic concentration) and diet
|
||
not containing the Bt protein and/or lack of a statistically significant difference in
|
||
measures between the field population and a resistant positive control population, or lack
|
||
of a statistically significant concentration and/or lack of a statistically significant
|
||
difference in concentration response between the field and a resistant positive control
|
||
population1.
|
||
|
||
3. Mitigation, as detailed in section e(2)(c) below, is required for any CRW population that
|
||
meets EPA’s resistance criteria above for any of the CRW traits in MON 89034 x MIR162 x
|
||
MON 87411, unless the circumstances described below are applicable.
|
||
|
||
a. To minimize the potential for incorrectly reaching a conclusion of resistance, another
|
||
year of CRW adult collections and additional testing is needed to determine resistance if:
|
||
|
||
i. The results of the bioassays are inconclusive (e.g., the results of the statistical analysis
|
||
are unclear because of low sample sizes); or
|
||
|
||
ii. Another reasonable explanation for th e unexpected damage exists (e.g., high pest
|
||
pressure and/or high plant stress).
|
||
|
||
b. In these cases, Bayer and EPA will discuss and align on next steps before reaching any
|
||
resistance conclusion.
|
||
|
||
c. If CRW collections are not possible in the current year or subsequent year due to
|
||
successful management practices, then no further investigation is needed. The population
|
||
would be considered "mitigated" meaning, in this case, that the population is suppressed
|
||
or extirpated for the UXD field. However, EPA recommends that Bayer continue to be
|
||
vigilant in areas where CRW populations were successfully mitigated.
|
||
|
||
Page 19 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
d. If a UXD field receives non-host crop (e.g., soybean) rotation the following year as
|
||
described in Section e(2)(a)(2) above, no additional mitigation is subsequently required.
|
||
|
||
c) Mitigation of CRW Populations Meeting EPA’s Resistance Criteria
|
||
|
||
1. For any CRW population found to be resistant to one or more of the CRW traits MON 89034
|
||
x MIR162 x MON 87411 under EPA’s criteria described in section e(2)(b) above, Bayer
|
||
must take the following steps:
|
||
|
||
a) Bayer must inform EPA of all the results of the bioassays as soon as possible, but at least
|
||
within 30 days if measures are triggered.
|
||
|
||
b) The mitigation action area (MAA) is define d as the growers’ farming operation up to a ½
|
||
mile radius from the damaged site that produced the resistant population.
|
||
|
||
c) Within 30 days of informing EPA of the re sults of the bioassays, Bayer must notify state
|
||
extension agents and crop consultants who operate within the county in which resistance
|
||
was identified. Information shared must include identification of the county in which
|
||
resistance was detected and trait(s) affected.
|
||
|
||
d) Within the MAA, Baye r must do the following:
|
||
|
||
i. Prior to finalizing the grower’s seed order for the following season, inform the
|
||
affected grower and other registrants that hold registrations containing the
|
||
compromised trait(s). Bayer must also inform neighboring growers if those growers
|
||
are customers of Bayer. Information shared must include identification of the county
|
||
in which resistance was detected and trait(s) affected;
|
||
|
||
ii. Discontinue sales/plantin g of products containing the compromised trait(s) without
|
||
additional/alternative (i.e. non-compromised) CRW traits until resistance has been
|
||
demonstrated to have been mitigated. Other Bt registrants selling such products in the
|
||
MAA are encouraged, but cannot be required, to follow suit;
|
||
|
||
iii. Bayer must monitor the resistant population in the MAA, as long as grower remains a
|
||
customer of the company, until mitigation has been demonstrated as described in part
|
||
e below unless otherwise agreed with EPA.
|
||
|
||
iv. Require any pyramids sold by Bayer containing the compromised trait(s) be planted
|
||
with a 20% refuge until resistance has been demonstrated to have been mitigated.
|
||
Other Bt corn registrants selling such pyramided products in the MAA are
|
||
encouraged, but cannot be required by this term of registration, to follow suit;
|
||
|
||
v. For Bayer’s affected customer’s field(s), the mitigation goal is to control the resistant
|
||
CRW population. Within the MAA Bayer shall encourage the use of “Mitigation
|
||
Practices” including:
|
||
|
||
1. Primary option: Rotation to a non-host crop (e.g., soybean);
|
||
|
||
Page 20 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
2. Secondary options:
|
||
|
||
a. Use of pyramided Bt corn products with different CRW PIP traits;
|
||
|
||
b. Only in the case that the resistance de finition for one of the CRW traits in the
|
||
MON 89034 x MIR162 x MON 87411 is not met, continued use of the
|
||
product with a 20% refuge;
|
||
|
||
c. Use of different single-CRW PIP trai ts (i.e., an alternative CRW active PIP);
|
||
|
||
d. Use of non- Bt corn or non-CRW protected corn (with/without soil applied
|
||
insecticide).
|
||
|
||
3. Tertiary options:
|
||
|
||
a. If additional pest management n eed is determined beyond the secondary
|
||
options listed above, additional CRW control tools (e.g., soil insecticides,
|
||
seed-applied insecticides, chemigation) should be used.
|
||
|
||
b. Use of foliar applications to c ontrol adults (when appropriate economic
|
||
thresholds have been met) may be used in conjunction with one or more of the
|
||
above;
|
||
|
||
e) A resistant CRW population in the MAA will be considered mitigated if one of the
|
||
following criteria is met:
|
||
|
||
i. Corn fields within the MAA are rotated to a non-host crop (e.g. soybean) for one
|
||
growing season.
|
||
|
||
ii. After implementation of mitigation practices (part d.v. above), resistance monitoring
|
||
(sampling) is conducted but few CRW are found (i.e., <0.1 adults per plant) and
|
||
environmental conditions (e.g., weather) are unlikely to be responsible for the lack of
|
||
adult CRW presence. If environmental conditions are a factor, then monitoring should
|
||
continue for another season.
|
||
|
||
iii. After implementation practices (part d.v above), resistance monitoring (sampling) is
|
||
conducted, CRW are found and collected, and bioassays (section e(2)(b)(2) above)
|
||
show that the population susceptibility to the compromised trait(s) has returned to
|
||
baseline levels.
|
||
|
||
f) The mitigation actions in pa rt d above can be lifted, and growers can resume the use of
|
||
MON 89034 x MIR162 x MON 87411 as a primary tool for CRW management in the
|
||
MAA, only when Bayer demonstrates that successful mitigation as described in part e
|
||
above has been achieved.
|
||
|
||
2. Based on further research to understand CRW resistance to Bt PIPs, EPA will consider
|
||
refinements to the resistance mitigation program. Such research may include characterizing the
|
||
genetics of resistance (e.g., number of genes, functional dominance, mechanism of resistance,
|
||
|
||
Page 21 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
and cross-resistance) and the biology of resistant insects (e.g., fitness in the presence and absence
|
||
of the product), and other control tactics.
|
||
|
||
f. Annual Reporting Requirements for MON 89034 x MIR162 x MON 87411
|
||
|
||
The following annual reports must be submitted:
|
||
|
||
1. Compliance Assurance Plan: Compliance Assurance Program activities, including IRM Grower
|
||
Survey results (only for years in which survey was conducted) and on-farm assessment results
|
||
for the prior year and plans for the compliance assurance program for the current year, on or
|
||
before January 31st each year.
|
||
|
||
2. Insect Resistance Monitoring Results (C ry1A.105, Cry2Ab2, and Vip3Aa20 only): results of
|
||
monitoring and investigations of damage reports, August 31st of each year.
|
||
|
||
3. IPM Stewardship Program (Cry3Bb1 and DvSnf7 only): Activities conducted under the IPM
|
||
stewardship program, including an anonymous survey of grower practices, adoption levels of the
|
||
various crop rotation options (if employed) and other elements of the stewardship program, on or
|
||
before January 31st of each year.
|
||
|
||
4. Unexpected Damage Investigations (Cry3Bb1 and DvSnf7 only): Activities related to
|
||
investigations of unexpected damage (UXD), including number and location of UXD cases,
|
||
insect sampling, bioassays, and final disposition of UXD fields from the most recent and
|
||
previous corn growing seasons, on or before November 30th of each year.
|
||
|
||
|
||
Should you wish to add/retain a reference to your company’s website on your label, then please be
|
||
aware that the website becomes labeling under FIFRA and is subject to review by the EPA. If the
|
||
website is false or misleading, the product will be considered to be misbranded and sale or distribution
|
||
of the product is unlawful under FIFRA section 12(a)(1)(E). 40 CFR § 156.10(a)(5) lists examples of
|
||
statements the EPA may consider false or misleading. In addition, regardless of whether a website is
|
||
referenced on your product’s label, claims made on the website may not substantially differ from those
|
||
claims approved through the registration process. Therefore, should the EPA find or if it is brought to
|
||
our attention that a website contains false or misleading statements or claims substantially differing from
|
||
the EPA-approved registration, the website will be referred to the EPA’s Office of Enforcement and
|
||
Compliance Assurance.
|
||
|
||
Your release for shipment of this product constitutes acceptance of these conditions. If you fail to satisfy
|
||
these terms and conditions, the EPA will consider appropriate regulatory action including, among other
|
||
things, cancellation under FIFRA section 6(e).
|
||
|
||
A stamped copy of the label is enclosed for your records. A previously approved Confidential Statement
|
||
of Formula dated May 10, 2016 is on file for this product.
|
||
|
||
Page 22 of 22
|
||
EPA Reg. No. 524-635
|
||
OPP Case No. 00297234
|
||
|
||
|
||
|
||
If you have any questions, please contact Leslie Paul of my team by phone at (202) 566-1466 or via
|
||
email at paul.leslie@epa.gov.
|
||
|
||
Sincerely,
|
||
|
||
|
||
|
||
Alan Reynolds, Team Leader
|
||
Emerging Technologies Branch
|
||
Biopesticides and Pollution
|
||
Prevention Division (7511P)
|
||
Office of Pesticide Programs
|
||
|
||
|
||
|
||
|
||
|
||
|
||
|
||
Enclosure
|
||
|
||
Plant-Incorporated Protectant Label
|
||
MON 89034 × MIR162 × MON 87411
|
||
(OECD Unique Identifier: MON-89Ø 34-3 × SYN-IR162-4 × MON-87411-9)
|
||
Active Ingredients:
|
||
Bacillus thuringiensis Cry1A.105 protein and the genetic material necessary for its
|
||
production (vector PV-ZMIR245) in event MON 89034 corn (Unique Identifier MON-
|
||
89Ø34-3) .............................................................................................................0.0045
|
||
Bacillus thuringiensis Cry2Ab2 protein and the genetic material necessary for its
|
||
production (vector PV-ZMIR245) in event MON 89034 corn (Unique Identifier MON-
|
||
89Ø34-3) .............................................................................................................0.0110
|
||
Bacillus thuringiensis Vip3Aa20 protein and the genetic material necessary for its
|
||
production (vector pNOV1300) in event MIR162 corn (Unique Identifier SYN-IR162-4))
|
||
............................................................................................................................... 0.014
|
||
Bacillus thuringiensis Cry3Bb1 protein and the genetic material (vector PV-ZMIR10871)
|
||
necessary for its production in corn event MON 87411 (OECD Unique Identifier: MON-
|
||
87411-9)«««««««««««««««««««««««««« «0.0086
|
||
dsRNA transcript comprising a DvSnf7 inverted repeat sequence derived from Diabrotica
|
||
virgifera virgifera , and the genetic material necess ary for its production (vector PV-
|
||
ZMIR10871) in MON 87411 corn (OECD Unique Identifier MON-87411-
|
||
9)««««««««««««««««««««««««««««0.00000037
|
||
Other Ingredients:
|
||
Phosphomannose isomerase (PMI) marker pro tein and the genetic material necessary
|
||
(vector pNOV1300) for its production in the event MIR162 corn ................... 0.00085
|
||
CP4 EPSPS protein (5-enolpyruvylshikimate -3-phosphate synthase) and the genetic
|
||
material (vector PV-ZMIR10871) necessary for its production in corn event
|
||
MON 87411«......................................................................................................0.035
|
||
*Percentage (wt/wt) on a dry weight basis for whole plant (forage) of MON 89034 ×
|
||
MIR162 × MON 87411 plants.
|
||
01/26/2022
|
||
524-635
|
||
|
||
KEEP OUT OF REACH OF CHILDREN
|
||
Caution
|
||
EPA Registration No. 524-635
|
||
EPA Establishment No. 524-MO-002
|
||
Bayer CropScience LP
|
||
800 North Lindbergh Blvd.
|
||
St Louis, MO 63167
|
||
NET CONTENTS__________
|
||
DIRECTIONS FOR USE
|
||
It is a violation of Federal law to use this product in any manner inconsistent with its
|
||
labeling. Information regarding commercia l production reflected here and in the terms
|
||
and conditions ofthis registration must b e included in the Technology Use Guide.
|
||
MON 89034 × MIR162 × MON 87411 protects corn plants from leaf, stalk, and ear
|
||
damage caused by corn borers and corn earworm, and root damage caused by corn
|
||
rootworm. In order to minimize the risk of these pests developing resistance to
|
||
MON 89034 × MIR162 × MON 87411 corn, an insect resistance management (IRM)
|
||
plan must be implemented which include s planting of a structured refuge.
|
||
This plant-incorporated protectant (PIP) ma y be combined through conventional breeding
|
||
with other registered PIPs that are similarl y approved for use in combination, through
|
||
conventional breeding, with other registered PIPs.
|
||
These refuge requirements do not apply to planting of inbred/hybrid corn seed
|
||
productions, breeding, and small scale resea rch trials on up to a total of 20,000 acres per
|
||
county and up to a combined United State s (U.S.) total of 250,000 acres per PIP active
|
||
ingredient per registrant per year.
|
||
Several options for deployment of the refuge for MON 89034 × MIR162 × MON 87411
|
||
are available to growers. These options are based on the planting of MON 89034 ×
|
||
MIR162 × MON 87411 in cotton or non-cotton growing regions and the insect pressure
|
||
present in those locations. The refuge sizes for these regions are either 5% (i.e. 5 acres of
|
||
non-PIP corn for every 95 acres MON 89034 × MIR162 × MON 87411 corn planted) or
|
||
20% (20 acres of non-PIP corn for every 80 acres of MON 89034 × MIR162 ×
|
||
MON 87411 corn planted), and are presented in the table below:
|
||
|
||
Region Refuge size
|
||
In-field or
|
||
adjacent
|
||
refuge
|
||
Refuge
|
||
separated by
|
||
up to ½ mile
|
||
Cotton growing states where CEW is a significant
|
||
pest and WCRW, NCRW and MCRW are not
|
||
significant: AR, NC, SC, GA, FL, TN (only the
|
||
counties of Carroll, Che ster, Crockett, Dyer,
|
||
Fayette, Franklin, Gibson, Hardeman, Hardin,
|
||
Haywood, Lake, Lauderdale, Lincoln, Madison,
|
||
Obion, Rutherford, Shelby, and Tipton), AL, MS,
|
||
LA, and VA (only the counties of Dinwiddie,
|
||
Franklin City, Greensville, Isle of Wight,
|
||
Northampton, Southampton, Suffolk City, Surrey,
|
||
and Sussex)
|
||
20% non-PIP
|
||
corn Yes Yes
|
||
Cotton growing states where CEW is a significant
|
||
pest and WCRW, NCRW and/or MCRW are
|
||
significant: TX (except the counties of Carson,
|
||
Dallam, Hansford, Hartley, Hutchinson,
|
||
Lipscomb, Moore, Ochiltree
|
||
Roberts, and Sherman), OK (only the counties of
|
||
Beckham, Caddo, Comanche, Custer, Greer,
|
||
Harmon, Jackson, Kay, Kiowa, Tillman, and
|
||
Washita), and MO (only the counties of Dunklin,
|
||
New Madrid, Pemisco t,S c o tt, and Stoddard)
|
||
20% non-PIP
|
||
corn Yes No
|
||
Cotton growing states where CEW is not a
|
||
significant pest and WCRW, NCRW and MCRW
|
||
are not significant: NM, AZ, CA, NV
|
||
5% non-PIP
|
||
corn Yes Yes
|
||
Non-cotton growing states where WCRW, NCRW
|
||
and MCRW are not significant: OR, WA, ID, MT,
|
||
WY, UT, VA (except the counties of Dinwiddie,
|
||
Franklin City, Greensville, Isle of Wight,
|
||
Northampton, Southampton, Suffolk City, Surrey,
|
||
and Sussex) , WV, PA, MD, DE, CT, RI, NJ, NY,
|
||
ME, MA, NH, VT, HI, AK and TN (except the
|
||
counties of Carroll, Che ster, Crockett, Dyer,
|
||
Fayette, Franklin, Gibson, Hardeman, Hardin,
|
||
Haywood, Lake, Lauderdale, Lincoln, Madison,
|
||
Obion, Rutherford, Shelby, and Tipton)
|
||
5% non-PIP
|
||
corn Yes Yes
|
||
Non-cotton growing states where WCRW, NCRW
|
||
and/or MCRW are significant: KS, NE, SD, ND,
|
||
MN, IA, MO (except the counties of Dunklin,
|
||
New Madrid, Pemiscot, Scott, and Stoddard), IL,
|
||
WI, MI, IN, OH, KY, CO, OK (except the
|
||
counties of Beckham, Caddo, Comanche, Custer,
|
||
Greer, Harmon, Jackson, Kay, Kiowa, Tillman,
|
||
and Washita), and TX (only the counties of
|
||
Carson, Dallam, Hansford, Hartley, Hutchinson,
|
||
Lipscomb, Moore, Ochiltree, Roberts, and
|
||
Sherman)
|
||
5% non-PIP
|
||
corn Yes No
|
||
If corn rootworms (CRW) are significant with in a region, the structured refuge must be
|
||
planted as an in-field or adjacent refug e using corn hybrids that do not contain PIP
|
||
technologies for the control of corn borers o r CRW. The structured refuge can be planted
|
||
as a block within or adjacent (e.g., across the road) to the MON 89034 × MIR162 ×
|
||
|
||
MON 87411 field, perimeter strips (i.e., strip s around the field), or in-field strips. If
|
||
perimeter or in-field strips are implemented, the strips must be at least 4 consecutive rows
|
||
wide. The refuge can be protected fro m lepidopteran damage by use of non- B.t.
|
||
insecticides if the population of one or more target lepidopteran pests of MON 89034 ×
|
||
MIR162 × MON 87411 in the refuge exceeds economic threshold. In addition, the refuge
|
||
can be protected from CRW damage by an approp riate seed treatment or soil insecticide;
|
||
however, insecticides labeled for adult CRW control should be avoided in the refuge
|
||
during the period of CRW adult emergence
|
||
. Economic thresholds will be determined
|
||
using methods recommended by local or regional professionals (e.g., Extension Service
|
||
agents, crop consultants). A schematic of one common refuge deployment option is
|
||
shown below:
|
||
Structured Refuge
|
||
If CRW are not significant within a region, the structured refuge may be planted as an in-
|
||
field or adjacent refuge, or as a separate block that is within ½ mile of the MON 89034 ×
|
||
MIR162 × MON 87411 field. The structured refuge must be planted with corn hybrids
|
||
that do not contain PIP technologies for the control of corn borers or CRW. Economic
|
||
thresholds will be determined using methods recommended by local or regional
|
||
professionals (e.g., Extension Service ag ents, crop consultants). A schematic of one
|
||
refuge option with the refuge planted within a ½ mile of the MON 89034 × MIR162 ×
|
||
MON 87411 field is shown below:
|
||
Separated Structured Refuge
|
||
MON 89034 ×
|
||
MIR162 ×
|
||
MON 87411
|
||
Refuge
|
||
Non-PIP corn
|
||
MON 89034 ×
|
||
MIR162 ×
|
||
MON 87411
|
||
ч½ mile
|
||
Refuge
|
||
Non-PIP corn
|
||
|
||
Corn Insects Controlled or Suppressed
|
||
European corn borer (ECB) Ostrinia nubilalis
|
||
Southwestern corn borer (SWCB) Diatraea grandiosella
|
||
Southern cornstalk borer (SCSB) Diatraea crambidoides
|
||
Corn earworm (CEW) Helicoverpa zea
|
||
Fall armyworm (FAW) Spodoptera frugiperda
|
||
Stalk borer Papaipema nebris
|
||
Sugarcane borer (SCB) Diatraea saccharalis
|
||
Beet armyworm Spodoptera exigua
|
||
True armyworm Pseudelatia unipuncta
|
||
Black cutworm Agrotis ipsilon
|
||
Western bean cutworm (WBC) Striacosta albicosta
|
||
Lesser cornstalk borer Elasmopalpus lignosellus
|
||
Dingy Cutworm Feltia jaculifera
|
||
Western corn rootworm (WCRW) Diabrotica virgifera virgifera
|
||
Mexican corn rootworm (MCRW) Diabrotica virgifera zeae
|
||
Northern corn rootworm (NCRW) Diabrotica barberi
|
||
Sales of corn hybrids that contain Bayer’s PIPs must be accompanied by either a grower
|
||
guide or bag tag which include s information on planting, production, and IRM and notes
|
||
that routine applications of insecticides to control these insects are usually unnecessary
|
||
when corn containing the PIPs are planted.
|
||
__________________________
|
||
MON 89034 × MIR162 × MON 87411 is a product of Bayer’s research program offering unique genetic
|
||
characteristics for specific grower needs and may be protected by one or more of the following U.S. patents
|
||
that can be found at http://www.monsantotechnology.com
|