While the EPA has limited states’ abilities to impose further application restrictions, the MDA has imposed additional conditions of registration for these products. As conditions of registration, the MDA requires 1. manufacturers to provide approved education and training of applicators and 2. to provide more Minnesota-specific data on the use of dicamba to inform department decisions in the future.
While the EPA has limited states’ abilities to impose further application restrictions, the MDA has imposed additional conditions of registration for these products. As conditions of registration, the MDA requires 1. manufacturers to provide approved education and training of applicators and 2. to provide more Minnesota-specific data on the use of dicamba to inform department decisions in the future.
No; the 2020 Minnesota-specific Section 24(c) label is no longer valid and cannot be used in 2021. The 2020 24(c) label expired on December 31, 2020.
No; the 2020 Minnesota-specific Section 24(c) label is no longer valid and cannot be used in 2021. The 2020 24(c) label expired on December 31, 2020.
No, tavium label is more restrictive than XtendiMax and Engenia labels and prohibits application after V4 stage of soybeans.
No, tavium label is more restrictive than XtendiMax and Engenia labels and prohibits application after V4 stage of soybeans.
No, the federal label prohibits application after June 30 regardless of soybeans growth stage.
No, the federal label prohibits application after June 30 regardless of soybeans growth stage.