Product Discontinuation Specifics
- Registrants can choose to move registered products into discontinuance on the registration renewal forms sent by the MDA annually in October.
- When a product is moved into discontinuance the registrant can no longer sell the product to indirect distributors such as wholesalers, traditional retailers, distributors, and internet retailers that are intending to sell the product in the state. If the registrant has remaining inventory they would like to sell to distributors in Minnesota, they must delay the discontinuation request and continue to register the product.
- The registrant must continue to register the pesticide and pay the associated fees for two successive years ensuring that indirect distributors that have purchased the product have ample time to sell the inventory prior to cancellation.
- The registrant must recall the pesticide from distribution in the state within 60 days from the date of notification of discontinuation in order to prevent further distribution in the state.
- Retailers who purchased product prior to the discontinuation request may continue to store, sell, and transport product for the remainder of the two-year discontinuation period.
- Once the discontinuation period expires the product is moved to cancelled status. Distribution channels, including wholesalers, retailers, distributors, and internet, cannot legally distribute or sell the product within or into Minnesota now that the product’s registration status is cancelled.
- If during the discontinuation process the registrant chooses to keep a product in either first- or second-year discontinuation, they may choose so on their annual pesticide renewal forms. This will delay cancellation by an additional year. All fees will still apply.
- If the registrant chooses to move a product in discontinuation back to a fully active status, they may choose so on their annual pesticide renewal forms.
- The MDA tracks distribution and sales of products in discontinuation via annual sales reports, registrant and dealer audits, and marketplace inspections. Products found in the channels of trade after cancellation are subject to registration penalties and all related fees since the product’s last year of registration.
- Registrants can chose to cancel registered pesticide products on the registration renewal forms sent by the MDA annually in October.
- In order to cancel a registration without going through the two year discontinuance the registrant must provide a statement that the product is no longer in distribution channels. The commissioner will verify distribution levels by reviewing the previous year’s pesticide sales data.
- Based upon review, the commissioner will make the decision on allowing immediate cancellation.
- The MDA tracks distribution and sales of products via annual sales reports, registrant and dealer audits, and marketplace inspections. Products found in the channels of trade after cancellation are subject to registration penalties and all related fees since the product’s last year of registration.
Product Cancellation Specifics
- Registrants can chose to cancel registered pesticide products on the registration renewal forms sent by the MDA annually in October.
- In order to cancel a registration without going through the two year discontinuance the registrant must provide a statement that the product is no longer in distribution channels. The commissioner will verify distribution levels by reviewing the previous year’s pesticide sales data.
- Based upon review, the commissioner will make the decision on allowing immediate cancellation.
- The MDA tracks distribution and sales of products via annual sales reports, registrant and dealer audits, and marketplace inspections. Products found in the channels of trade after cancellation are subject to registration penalties and all related fees since the product’s last year of registration.
- Revising Application Information: If you find incorrect information on the enclosed Renewal Application, cross it out and write in the correct information (e.g. change of address, new Contact/Agent person, new phone number or company name change). If you are requesting a company name change, please provide documentation in the form of the EPA notification letter.
- Kelly Registration: If you are submitting renewal(s) via Kelly Registration Systems and you have a change of address, telephone number, company name change, etc. for either the Registrant or the Contact/Agent please send this information via email to Pesticide.Registration.MDA@State.MN.US.
- New Product Registration: New product registration forms must be completed and mailed separately from the Renewal process. If you are registering new pesticide products, you will need to submit the items listed on the Section 3 Pesticide Registration page separate from the Renewal Application.
- Product Discontinuation: If you would like to move an active product into two-year discontinuation which allows clearing of product from distribution channels, add a “1” to the Status column indicating 1st year of discontinuation. You may also choose to change products in 1st or 2nd year discontinuance back to active or remain in their current status by indicating this in the Status column. To move a product in 2nd year discontinuation to cancelled cross out the 2 and add a C to the Status column.
- Product Cancellation: To cancel a product for the coming year without going through two-year discontinuation add a C to the Status column and provide a statement attesting that the product is no longer in distribution in Minnesota. Product sales history will be reviewed by the MDA and the final decision on allowing cancellation will be at the discretion of the commissioner.
- Agricultural Product (AG) or Nonagricultural Product (NONAG): This is assigned by the MDA based on the label inclusion of the Agricultural Use Requirements box.
- Per- and Polyfluoroalkyl Substances (PFAS): Registrants should disclose any pesticide product that contains intentionally added PFAS which is defined as a class of fluorinated organic chemicals containing at least one fully fluorinated carbon atom. If the product contains intentionally added PFAS add a “Y” (Yes) to the table. Otherwise, add a “N” (No) to the table. Presence or absence of PFAS must be confirmed for all pesticide products by 2026. You may have made PFAS selections previously but due to data privacy concerns we could not add your prior selections to this year's renewal form. If you previously provided the data, you do not need to provide it again. If you indicate “Yes” to containing PFAS and Cleaning Product you will be contacted by the MDA for additional information. For further information on PFAS regulations and enforcement timelines please see Products with Added PFAS.
- Cleaning Product: Pesticides identified as primarily cleaning products fall under Minnesota PFAS legislation in 2026. If your product is used primarily for domestic, commercial, or institutional cleaning purposes add a “Y” (Yes) to the table. Otherwise, add a “N” (No) to the table. You may have made Cleaning Product selections previously but due to data privacy concerns we could not add your prior selections to this year’s renewal form. If you previously provided the data, you do not need to provide again.
- Product Label Revisions: If significant changes are made to product label content the registrant must submit a completed Pesticide Label Revision Checklist along with a digital copy of the updated label and safety data sheet. Instructions are included within the form. The form is located under "Forms + Resources".
Product Renewal Instructions
- Revising Application Information: If you find incorrect information on the enclosed Renewal Application, cross it out and write in the correct information (e.g. change of address, new Contact/Agent person, new phone number or company name change). If you are requesting a company name change, please provide documentation in the form of the EPA notification letter.
- Kelly Registration: If you are submitting renewal(s) via Kelly Registration Systems and you have a change of address, telephone number, company name change, etc. for either the Registrant or the Contact/Agent please send this information via email to Pesticide.Registration.MDA@State.MN.US.
- New Product Registration: New product registration forms must be completed and mailed separately from the Renewal process. If you are registering new pesticide products, you will need to submit the items listed on the Section 3 Pesticide Registration page separate from the Renewal Application.
- Product Discontinuation: If you would like to move an active product into two-year discontinuation which allows clearing of product from distribution channels, add a “1” to the Status column indicating 1st year of discontinuation. You may also choose to change products in 1st or 2nd year discontinuance back to active or remain in their current status by indicating this in the Status column. To move a product in 2nd year discontinuation to cancelled cross out the 2 and add a C to the Status column.
- Product Cancellation: To cancel a product for the coming year without going through two-year discontinuation add a C to the Status column and provide a statement attesting that the product is no longer in distribution in Minnesota. Product sales history will be reviewed by the MDA and the final decision on allowing cancellation will be at the discretion of the commissioner.
- Agricultural Product (AG) or Nonagricultural Product (NONAG): This is assigned by the MDA based on the label inclusion of the Agricultural Use Requirements box.
- Per- and Polyfluoroalkyl Substances (PFAS): Registrants should disclose any pesticide product that contains intentionally added PFAS which is defined as a class of fluorinated organic chemicals containing at least one fully fluorinated carbon atom. If the product contains intentionally added PFAS add a “Y” (Yes) to the table. Otherwise, add a “N” (No) to the table. Presence or absence of PFAS must be confirmed for all pesticide products by 2026. You may have made PFAS selections previously but due to data privacy concerns we could not add your prior selections to this year's renewal form. If you previously provided the data, you do not need to provide it again. If you indicate “Yes” to containing PFAS and Cleaning Product you will be contacted by the MDA for additional information. For further information on PFAS regulations and enforcement timelines please see Products with Added PFAS.
- Cleaning Product: Pesticides identified as primarily cleaning products fall under Minnesota PFAS legislation in 2026. If your product is used primarily for domestic, commercial, or institutional cleaning purposes add a “Y” (Yes) to the table. Otherwise, add a “N” (No) to the table. You may have made Cleaning Product selections previously but due to data privacy concerns we could not add your prior selections to this year’s renewal form. If you previously provided the data, you do not need to provide again.
- Product Label Revisions: If significant changes are made to product label content the registrant must submit a completed Pesticide Label Revision Checklist along with a digital copy of the updated label and safety data sheet. Instructions are included within the form. The form is located under "Forms + Resources".
- Registrants can choose to move registered products into discontinuance on the registration renewal forms sent by the MDA annually in October.
- When a product is moved into discontinuance the registrant can no longer sell the product to indirect distributors such as wholesalers, traditional retailers, distributors, and internet retailers that are intending to sell the product in the state. If the registrant has remaining inventory they would like to sell to distributors in Minnesota, they must delay the discontinuation request and continue to register the product.
- The registrant must continue to register the pesticide and pay the associated fees for two successive years ensuring that indirect distributors that have purchased the product have ample time to sell the inventory prior to cancellation.
- The registrant must recall the pesticide from distribution in the state within 60 days from the date of notification of discontinuation in order to prevent further distribution in the state.
- Retailers who purchased product prior to the discontinuation request may continue to store, sell, and transport product for the remainder of the two-year discontinuation period.
- Once the discontinuation period expires the product is moved to cancelled status. Distribution channels, including wholesalers, retailers, distributors, and internet, cannot legally distribute or sell the product within or into Minnesota now that the product’s registration status is cancelled.
- If during the discontinuation process the registrant chooses to keep a product in either first- or second-year discontinuation, they may choose so on their annual pesticide renewal forms. This will delay cancellation by an additional year. All fees will still apply.
- If the registrant chooses to move a product in discontinuation back to a fully active status, they may choose so on their annual pesticide renewal forms.
- The MDA tracks distribution and sales of products in discontinuation via annual sales reports, registrant and dealer audits, and marketplace inspections. Products found in the channels of trade after cancellation are subject to registration penalties and all related fees since the product’s last year of registration.
- Registrants can chose to cancel registered pesticide products on the registration renewal forms sent by the MDA annually in October.
- In order to cancel a registration without going through the two year discontinuance the registrant must provide a statement that the product is no longer in distribution channels. The commissioner will verify distribution levels by reviewing the previous year’s pesticide sales data.
- Based upon review, the commissioner will make the decision on allowing immediate cancellation.
- The MDA tracks distribution and sales of products via annual sales reports, registrant and dealer audits, and marketplace inspections. Products found in the channels of trade after cancellation are subject to registration penalties and all related fees since the product’s last year of registration.
- Revising Application Information: If you find incorrect information on the enclosed Renewal Application, cross it out and write in the correct information (e.g. change of address, new Contact/Agent person, new phone number or company name change). If you are requesting a company name change, please provide documentation in the form of the EPA notification letter.
- Kelly Registration: If you are submitting renewal(s) via Kelly Registration Systems and you have a change of address, telephone number, company name change, etc. for either the Registrant or the Contact/Agent please send this information via email to Pesticide.Registration.MDA@State.MN.US.
- New Product Registration: New product registration forms must be completed and mailed separately from the Renewal process. If you are registering new pesticide products, you will need to submit the items listed on the Section 3 Pesticide Registration page separate from the Renewal Application.
- Product Discontinuation: If you would like to move an active product into two-year discontinuation which allows clearing of product from distribution channels, add a “1” to the Status column indicating 1st year of discontinuation. You may also choose to change products in 1st or 2nd year discontinuance back to active or remain in their current status by indicating this in the Status column. To move a product in 2nd year discontinuation to cancelled cross out the 2 and add a C to the Status column.
- Product Cancellation: To cancel a product for the coming year without going through two-year discontinuation add a C to the Status column and provide a statement attesting that the product is no longer in distribution in Minnesota. Product sales history will be reviewed by the MDA and the final decision on allowing cancellation will be at the discretion of the commissioner.
- Agricultural Product (AG) or Nonagricultural Product (NONAG): This is assigned by the MDA based on the label inclusion of the Agricultural Use Requirements box.
- Per- and Polyfluoroalkyl Substances (PFAS): Registrants should disclose any pesticide product that contains intentionally added PFAS which is defined as a class of fluorinated organic chemicals containing at least one fully fluorinated carbon atom. If the product contains intentionally added PFAS add a “Y” (Yes) to the table. Otherwise, add a “N” (No) to the table. Presence or absence of PFAS must be confirmed for all pesticide products by 2026. You may have made PFAS selections previously but due to data privacy concerns we could not add your prior selections to this year's renewal form. If you previously provided the data, you do not need to provide it again. If you indicate “Yes” to containing PFAS and Cleaning Product you will be contacted by the MDA for additional information. For further information on PFAS regulations and enforcement timelines please see Products with Added PFAS.
- Cleaning Product: Pesticides identified as primarily cleaning products fall under Minnesota PFAS legislation in 2026. If your product is used primarily for domestic, commercial, or institutional cleaning purposes add a “Y” (Yes) to the table. Otherwise, add a “N” (No) to the table. You may have made Cleaning Product selections previously but due to data privacy concerns we could not add your prior selections to this year’s renewal form. If you previously provided the data, you do not need to provide again.
- Product Label Revisions: If significant changes are made to product label content the registrant must submit a completed Pesticide Label Revision Checklist along with a digital copy of the updated label and safety data sheet. Instructions are included within the form. The form is located under "Forms + Resources".
- Seafood HACCP regulation applies to processors and importers selling fishery products for wholesale (i.e., sales to other businesses or distributors).
- Any products that are sold wholesale must be processed in accordance with the regulation, provided that the product is in interstate commerce. This is true even if the firm's primary business is retail.
Exemptions - The rule does not apply to:
- Harvesting or transporting fish or fishery products, without otherwise engaging in processing.
- Practices such as heading, eviscerating, or freezing intended solely to prepare a fish for holding on board a harvest vessel.
- Retail establishment solely selling fishery products to the end consumer.
How do I know if the Seafood HACCP regulation applies to my seafood or fish-containing product?
- Seafood HACCP regulation applies to processors and importers selling fishery products for wholesale (i.e., sales to other businesses or distributors).
- Any products that are sold wholesale must be processed in accordance with the regulation, provided that the product is in interstate commerce. This is true even if the firm's primary business is retail.
Exemptions - The rule does not apply to:
- Harvesting or transporting fish or fishery products, without otherwise engaging in processing.
- Practices such as heading, eviscerating, or freezing intended solely to prepare a fish for holding on board a harvest vessel.
- Retail establishment solely selling fishery products to the end consumer.
- Fish means fresh or saltwater finfish, crustaceans, other forms of aquatic animal life (including, but not limited to, alligator, frog, aquatic turtle, jellyfish, sea cucumber, and sea urchin and the roe of such animals) other than birds or mammals, and all mollusks, where such animal life is intended for human consumption.
- Fishery product means any human food product in which fish is a characterizing ingredient.
- Molluscan shellfish means any edible species of fresh or frozen oysters, clams, mussels, or scallops, or edible portions of such species, except when the product consists entirely of the shucked adductor muscle.
- Processor means any person engaged in commercial, custom, or institutional processing of fish or fishery products, either in the United States or in a foreign country. A processor includes any person engaged in the production of foods that are to be used in market or consumer tests.
- Processing means, with respect to fish or fishery products: Handling, storing, preparing, heading, eviscerating, shucking, freezing, changing into different market forms, manufacturing, preserving, packing, labeling, dockside unloading, or holding.