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Technical Report

California Regulatory Impacts on Adoption of MeBr Alternative
Fumigants
Tom Trout, USDA-ARS Water Management
Research Laboratory, Fresno, CA
From 1991 to 1999, methyl bromide use in California decreased from 18.5 to
15 million pounds, while use of alternative registered fumigants increased from
7.5 to over 24 million pounds. Telone (1,3-dichloropropene) was reintroduced
for use in 1994 and about 3 million pounds was used in 1999, mainly on orchards
and vineyards and at reduced rates on annual vegetables (carrot, tomato, and
sweetpotato). Chloropicrin use has gradually increased in the last 2 years to
about 4 million pounds because it is being used at higher ratios in methyl bromide
mixtures as a means of extending the limited methyl bromide supplies. Very little
chloropicrin is used as a stand-alone fumigant, although current research shows
it has potential as a stand-alone fumigant for some crops. Over 70% of the chloropicrin
use is on strawberries. Use of metam sodium, which generates the fumigant methyl
isothiocyanate (MITC), has increased dramatically to over 17 million pounds
and has now surpassed methyl bromide in use. It is primarily used on annual
vegetable crops (carrot, tomato, potato, melons) as a less costly alternative
to other fumigants.
These increasing use patterns appear to indicate that current regulations are
not precluding use of these currently available alternatives. However, growers
and applicators are quick to provide examples of how current or anticipated
regulations will limit their use. This is especially true in California where
use conditions in addition to those on the United States Environmental
Protection Agency (EPA) label are often imposed. I will summarize the regulatory
procedures in California and the impacts of these current and anticipated regulations
on use of alternative fumigants.
California Fumigant Regulatory Process
California fumigant use regulations may vary from those in other states in
three waysthe California label, State-issued permit conditions, and specific
conditions imposed at the county level for individual applications. The California
Department of Pesticide Regulation (DPR) may require data in addition to that
required by EPA before it will register and allow use of a pesticide. For fumigants,
this often includes efficacy data for the material under the proposed use and
information on air emissions, transport, and fate. Fumigant registrants may
work simultaneously with EPA and DPR so that their registration packages meet
both needs. DPR's current intent is to adopt the national label without changes
and to impose any further restrictions they feel are necessary in the form of
Suggested Permit Conditions. These permit conditions may include restrictions
on application rates, buffer zones around fumigated fields, worker conditions,
environmental conditions, and total fumigant use in an area.
Suggested Permit Conditions are actually recommendations to county agricultural
commissioners who are responsible for authorizing, regulating, and accounting
for all fumigant applications. All pesticide applications in California are
required to meet the intent of the California Environmental Quality Act (similar
to the federal NEPA) through a notice and permit process with public scrutiny.
Thus, all fumigant applications begin with a "Notice Of Intent" filed
with the county agriculture commissioner's office. These notices include the
field, crop, fumigant, and rate, and the issued Permit will note use conditions
and restrictions specific to the fumigant and application. County agriculture
commissioners (appointed by the county board of supervisors) must answer to
both farmers and concerned citizens (neighbors and other residents concerned
about the potential dangers of pesticides). They usually follow DPR issued Suggested
Permit Conditions, but may also (and sometimes do) further restrict use. Although
county restrictions are on individual applications, they may be printed up as
county guidelines. County restrictions may be based as much on nuisance aspects
(smell, irritation) and perception as on actual risk. County inspectors ensure
that the permit conditions are met.
Regulatory Impacts on Use of Telone
Telone is the only one of the three currently registered fumigants to have
completed the EPA re-registration process. It has also completed most of the
State's risk characterization process. Telone is also the most restricted of
the three currently. Current label restrictions include 300-foot buffers around
occupied residences (100 feet for drip application and no buffer if not refumigated
for 3 years), 35 gal/acre maximum application rates (except for nurseries),
5-day field reentry periods, use of full face respirators and chemical resistant
hats, gloves, boots, and aprons for workers in the field, and moist soil requirements
during application and a soil "seal" following application to reduce
emissions.
Each of these restrictions can limit use in some situations. Three hundred
foot buffers eliminate fumigation on about 7 acres of surrounding land; 100-foot
buffers affect only about an acre. The worker personal protective equipment
(PPE) requirements limit the ability to install plastic tarps in warm climates.
Thirty-five gallons per acre may not be adequate for deep-rooted tree and vine
crops. The soil moisture requirements in most years are difficult and/or expensive
for California tree and vine growers to achieve.
California Suggested Permit Conditions imposed 300-foot buffers until this summer
when they were reduced to 100 feet to match the new EPA drip-applied Telone
(InLine and Telone EC) label. Applications are also restricted in the San Joaquin
Valley in December and January when air inversions are common.
The primary restriction in current California Permit Conditions are township
caps on Telone applications. Chronic exposure is a concern with Telone, and
township caps are designed to limit air concentrations over extended time periods
in an area. California township caps limit Telone applications to no more than
9,600 "adjusted" gallons of Telone (90,050 lb 1,3-D) in any 36 square
mile (23,040 acre) township. Adjusted pounds are the actual pounds multiplied
by an application factor of 1.0 for deep (>18 inch) shank applications and
1.9 for shallow (>12 inch) shank applications. Township caps limit applications
to about 1 percent of the land for a typical strawberry or orchard/vineyard
fumigation and 2 percent of the land for a typical vegetable fumigation.
As Telone use has increased, township caps have begun to limit applications.
In 2000, cap limits were hit in four townships and were nearly hit in nine additional
townships. As methyl bromide is phased out and Telone use increases, the caps
will be more constraining. An analysis of the impacts of the township caps on
potential use (Carpenter et al. 2001, Trout 2001) showed that only about two-thirds
of the land presently fumigated with either Telone or methyl bromide would be
able to use Telone.
The township cap impacts varied greatly by crop and region, because fumigated
crops are concentrated in particular townships. By far the greatest impact is
on strawberries. Eighty-five percent of California strawberries are grown in
23 townships and only about one-third of the strawberry land could be fumigated
with Telone. Other crops affected by the township cap are crops grown in the
same coastal townships as strawberries (flowers, nurseries, vegetables) and
other crops grown in concentrated areas such as carrots and sweetpotatoes. Impact
on trees and vines would be about 10 percent statewide because these fields
are only replanted, and thus fumigated, every 7 to 40 years. Tomato has not
traditionally used methyl bromide but is beginning to use Telone over wide areas.
Because of the large number of acres involved, the caps will limit this use.
Dow AgroSciences is
currently working with DPR to determine if township caps can be raised in some
areas. However, because strawberry cropping is so concentrated, doubling the
township caps will only raise the portion of the land currently fumigated with
Telone or methyl bromide that can use the product from 67 percent to 80 percent,
and will raise the portion of strawberries that can be fumigated from one-third
to one-half.
Because the Telone label and permit conditions are restrictive, county agriculture
commissioners seldom impose further use restrictions.
Dow AgroSciences was issued an EPA and DPR label for their drip-applied emulsified
formulations of Telone (Inline and Telone EC) this summer. The current label
restricts the crops (strawberries, vegetables, melons) and application methods
(drip under plastic (HDPE) mulch). Applicators are not required to wear respirators
during application if the delivery system is "closed". Drip application
in California has an application factor for township cap calculations of 1.16.
The formulation is not labeled for perennials or ornamentals.
Regulatory Impacts on Use of Chloropicrin
Current chloropicrin labels are not restrictive to use. There are no buffer
or crop limitations, allowable rates are high, respirators are not required
unless air concentrations exceed 0.1 ppm, and the reentry period is 2 days.
Soil surfaces can be sealed with sprinkler irrigation, cultivation, or plastic
tarp. One label (TriClor) includes field mixing with an emulsifier for drip
application at up to 300 lb/acre. The TriClor label limits drip application
irrigation amounts to 1.5 inches of water, which is inadequate for some applications.
Because chloropicrin use in the past has typically been in combination with
methyl bromide, DPR has not issued Suggested Permit Conditions specifically
for chloropicrin. However, in anticipation of increased use, some county agriculture
commissioners have created local guidelines for chloropicrin permits. For example,
Santa Cruz and Monterey counties limit application rates to 200 lb/acre (inadequate
for most stand-alone uses), and requires 100-foot buffers for "sensitive
sites" (occupied residences nearby). When DPR completes its risk assessment
for chloropicrin, there will likely be additional use restrictions.
Regulatory Impacts on Use of Metam Sodium
Current metam sodium labels allow application by spray/incorporation, shank
injection, drip, sprinkler, and flood irrigation at rates up to 75 gal/acre.
The soil must be moist (between 50 percent and 80 percent of field capacity),
and the surface can be sealed by tarps, sprinkler irrigation, or cultivation.
Respirators are not required unless odors are strong. Reentry is 2 days.
The Suggested Permit Conditions for metam sodium restrict use near "sensitive
sites" when rates exceed 15 gal/acre (most uses). Conditions include 500-foot
buffers, hourly field monitoring for odors, and sprinkler systems in place if
odors become strong. With sprinkler application, a "water cap must be applied
immediately following application. The DPR issued guidelines point out that
county agriculture commissioners may institute more restrictive conditions,
which many do. For example, in Fresno County, the Notice of Intent to fumigate
must be filed 96 hours in advance and must map all occupied structures within
one-half mile of the site. If the site is in a sensitive or residential area,
the buffer is one-half mile for all except shank applications. The Metam Sodium
Task Force is currently working with the DPR to develop acceptable Permit Conditions,
including buffers, that can be used uniformly by counties. Applications will
likely include improved soil sealing and site monitoring.
Future Regulatory Impacts
Fumigants are going through re-registration at the Federal level and reevaluation
in California. The state process involves a risk assessment of the compound
and then steps to mitigate the risks. Mitigation can take the form of permit
conditions or State regulations. California DPR issues a monthly Status Report
for Fumigant Pesticides where information on the fumigant risk assessment/management
process is summarized and updated.
Of the three registered alternatives, only Telone products have completed this
re-registration process. Dow AgroSciences is now working with DPR to reassess
the analysis that was used to establish the Telone township caps with the goal
to increase the caps in some areas. A draft of the risk assessment document
for metam sodium is under public review. Metam sodium has been placed on the
restricted materials list. The risk assessment for chloropicrin has just begun.
As was noted, some county agriculture commissioners are applying permit condition
restrictions on these materials.
The State is carrying out ambient air monitoring of fumigants in areas of heavy
use. Monitoring in the Watsonville area in 2000 indicated methyl bromide levels
exceeded target seasonal (subchronic) exposure levels (1 ppb) in some areas.
This nearly triggered emergency regulations on the use of methyl bromide and
has resulted in a court-ordered temporary restraining order on methyl bromide
applications in specific areas. This summer and fall, ambient air concentrations
of methyl bromide, 1,3-D, chloropicrin, and MITC (generated from metam sodium)
are being monitored in two regions.
California fumigant users point to methyl bromide regulation as an example
of what could happen to other soil fumigants. Restrictions in California on
methyl bromide use have increased dramatically in the last 5 years. A recent
court decision requires DPR to issue use regulations instead of Suggested Permit
Conditions. These regulations include a complex formula to calculate buffers
depending on application method and rates. For example, for a 10-acre orchard
fumigation, the buffer would be 840 feet if it were fumigated at one time. Multiple
applications of portions of the field are often required to reduce buffers to
acceptable levels. The new regulation also requires extensive prenotification
of occupants of residences within 300 feet of the buffer, and limits in-field
workers (drivers, copilots, tarp layers) to no more than 4 hours per day in
the field. These restrictions have resulted in both legal and practical limitations
where methyl bromide can be used and increased application costs.
Conclusions
Fumigant use regulations are more complex and restrictive in California than
in other states. Telone township caps will severely restrict use in some areas.
County applied buffers also limit uses. Although current restrictions on alternative
fumigants are of concern to growers, of more concern is not knowing what future
regulations will be. As long as the rules may change, it is precarious to invest
time and money into adopting and adapting to alternative fumigants.
References
Carpenter, Janet, Lori Lynch, and Tom Trout. 2001. Township limits on 1,3-D
will impact adjustment to methyl bromide phase-out. California Agriculture 55(3):12-18.
Trout, Tom. 2001. Impact of township caps on Telone use in California. The
Pink Sheet, published by the California Strawberry Commission, 01(9), 4 pp.
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Last Updated: January 17, 2002
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