PESTICIDE LAW AND POLICY BLOG

EPA Announces It Is Extending Flexibilities to Minimize Supply-Chain Disruptions Facing the Pesticide Industry
Posted on January 20, 2022 by Lisa M. Campbell

By James V. Aidala, Heather F. Collins, M.S., and Barbara A. Christianson

On January 20, 2022, the U.S. Environmental Protection Agency (EPA) announced it is extending supply-chain flexibilities for registrants of certain conventional and biopesticide products to alleviate a supply-chain issue facing the pesticide industry.

This is an extension of EPA’s July 2, 2021, action when EPA implemented supply-chain flexibilities that allowed registrants to substitute a combination of pre-approved alternate inert ingredients for inert ingredients derived from propylene oxide (PO) feedstocks. This was intended to address the limited supply of PO feedstocks due to weather events that occurred in the U.S. Gulf Coast in February 2021. This action was originally set to expire on December 31, 2021, but EPA has extended these supply-chain flexibilities until December 31, 2022, due to continued disruptions to production.

EPA emphasized in its initial July 2021 action that this relates only to non-antimicrobial pesticide products and that EPA will handle “not in-kind” substitutions for antimicrobial pesticide products on a case-by-case basis.

The pre-approved alternates for propylene glycol, a derivative of PO feedstocks, include:

  • glycerin (Chemical Abstracts Service Registry Number (CAS RN) 56-81-5);
  • diethylene glycol (CAS RN 111-46-6);
  • ethylene glycol (CAS RN 107-21-1); and/or
  • 1,3-propanediol (CAS RN 504-63-2).

These substitutions can be added to a product formulation or a brand name mixture.

Registrants must self-certify that the substitute inert ingredients will:

  • Serve the same function in the product as propylene glycol;
  • Maintain the validity of product-specific data submitted in support of the registration;
  • Maintain the product’s acute toxicity category and physical/chemical characteristics such that no label modifications are required; and
  • Maintain the product’s fitness for its intended purposes in terms of efficacy, phytotoxicity, and any other factor.

EPA states that any registrants that wish to make the substitution permanent will have to go through the standard amendment process outlined in Pesticide Registration Notice (PRN) 98-10.

Commentary

Supply-chain issues have become a national concern whether one is shopping for furniture or manufacturing pesticides. The Biden Administration across government agencies and programs has sought ways to ease difficulties as part of a national response to economic disruptions caused by the COVID-19 pandemic. Pesticide ingredients may not be subject to as much media coverage as consumer products, but in the end, could have impacts affecting availability of disinfectants and other pesticide products. In the broader economy, supply-chain issues have been identified as a factor affecting the availability of pesticides used to help meet the food and fiber production needs of the nation, along with concerns about freight capacity limiting the normal distribution of crop inputs and ultimately affecting the movement of finished crops.

Comments (0)

Pesticide Law & Policy Blog
BERGESON & CAMPBELL, P.C.
2200 Pennsylvania Avenue, N.W., Suite 100W, Washington, D.C., 20037-1701