Archive for the 'and Rodenticide Act (FIFRA)' Category
16
Sep
(Beyond Pesticides, September 16, 2025) As reported in the Daily News on August 28, the U.S. Environmental Protection Agency (EPA) announced that it “will hold a public webinar [today], September 16, 2025, at 2:00 PM ET to provide information on the ecological runoff/erosion and spray drift mitigation measures that can be used to protect endangered species from pesticides.” This follows closely behind an earlier announcement of a newly released Pesticide App for Label Mitigations (PALM) mobile tool to assist in implementing these mitigation measures. Despite boasting that the PALM tool is a “one-stop shop” for farmers to use EPA’s mitigation menu, which the agency claims helps to protect nontarget species, environmental critics say that self-directed mitigation without a rigorous reporting and enforcement apparatus fails to meet the level of protection that is necessary under the Endangered Species Act (ESA). As Beyond Pesticides has often reported, mitigation measures are not enforced through recordkeeping, inspections, and certification, and require no accountability from farmers and pesticide applicators. At the same time, EPA assumes compliance with mitigation measures as the basis for meeting statutory standards of reasonable risk from harmful chemicals, despite documented health and environmental harm. As a Daily News article earlier this […]
Posted in Agriculture, Alternatives/Organics, and Rodenticide Act (FIFRA), Announcements, Biodiversity, Climate, Endangered Species Act (ESA), Environmental Protection Agency (EPA), Federal Insecticide, NOSB National Organic Standards Board, Pesticide Regulation, Wildlife/Endangered Sp. | No Comments »
10
Sep
(Beyond Pesticides, September 10, 2025) After being criticized by the chemical industry and allied agribusiness and service industry groups on the Make America Healthy Again (MAHA) report in May, the strategy document, released yesterday, has tamped down efforts to reform government programs that regulate pesticides. There are no specific recommendations on improving the regulation of pesticides. Rather, the strategy appears to embrace business-as-usual and could even ramp up government efforts to tout the need for pesticides and claims that current regulatory reviews are effective and comprehensive. In a section of the strategy entitled “Increasing Public Awareness and Knowledge,” the document says: “EPA, partnering with food and agricultural stakeholders, will work to ensure that the public has awareness and confidence in EPA’s pesticide robust review procedures and how that relates to the limiting of risk for users and the general public and informs continual improvement.” This is at odds with the earlier MAHA assessment report which identified pesticides as substances of concern that, citing deficiencies in chemical reviews, “may be neglecting potential synergistic effects and cumulative burdens, thereby missing opportunities to translate cumulative risk assessment into the clinical environment in meaningful ways.” While the earlier report, Make Our Children Healthy Again: Assessment, […]
Posted in Agriculture, and Rodenticide Act (FIFRA), Announcements, Atrazine, Chemical Mixtures, Chemicals, Children, Children/Schools, Chlorpyrifos, Clean Water Act, Corporations, Environmental Protection Agency (EPA), Farmworkers, Federal Insecticide, Fungicide, Glyphosate, Groundwater, Label Claims, Pesticide Mixtures, Pesticide Regulation, Reflection, synergistic effects, Uncategorized, US Department of Agriculture (USDA), Water, Water Regulation | No Comments »
18
Aug
(Beyond Pesticides, August 18, 2025) With pesticide manufacturers pushing to stop cancer victims (and others suffering adverse effects) from suing them under longstanding ”failure to warn law,“ U.S. Senator Cory Booker (D-NJ) is proposing to uphold this unequivocal right to protection. Senator Booker has introduced the Pesticide Injury Accountability Act (S. 2324) to protect the rights of farmers and consumers to hold pesticide manufacturers responsible for the harm caused by their toxic products. This effort comes in the wake of congressional and state legislative attacks on “failure-to-warn” liability claims that are taking place in response to extraordinary jury verdicts against Bayer/Monsanto for harm caused by glyphosate weed killer products like Roundup.ᵀᴹ 📣 Beyond Pesticides, with allied organizations across the U.S., is asking the public to “Tell your U.S. Senator to co-sponsor S. 2324, the Pesticide Injury Accountability Act.” This bill will amend the Federal Insecticide, Fungicide, and Rodenticide Act of 1972 (FIFRA) to create a federal right of action for anyone who is harmed by a toxic pesticide. Despite growing peer-reviewed scientific evidence linking widely used pesticides to a host of health harms, including cancers, birth defects, endocrine disruption, Parkinson’s disease, and infertility, the chemical industry and its allies in elective office are pushing to deny victims access to […]
Posted in and Rodenticide Act (FIFRA), Bayer, Cancer, Chem-China, Congress, Environmental Protection Agency (EPA), Failure to Warn, Federal Insecticide, Fungicide, Glyphosate, Herbicides, Label Claims, Monsanto, Pesticide Regulation, Preemption, Syngenta, Take Action | No Comments »
24
Jun
(Beyond Pesticides, June 24, 2025) As changes in the executive branch of the federal government upend expectations among environmental stakeholders, the regulation of food safety in the United States is being revealed as a rickety structure built over a century with unpredictable and sometimes contradictory additions, extensions, remodels, and tear-downs. In the short term, clarity is unavailable, but there have been calls for revision and strengthening of regulatory processes—requiring lawmaker and regulator willingness to incorporate the vast body of evidence that pesticides do far more harm than good, and that organic regenerative agriculture is the surest path to human and ecological health. News reports out of Costa Rica in May brought public attention to drafted legislation to ban pesticides in the country that the World Health Organization (WHO) has defined as “extremely or highly hazardous, or those with evidence of causing cancer, genetic mutations, or affecting reproduction, according to the Globally Harmonized System (GHS).” The headline sparked a relook in this Daily News at the current and historical failure of U.S. policy, which allows cancer-causing pesticides in food production and land management, despite the booming success of a cost-effective and productive, certified organic sector for which petrochemical pesticides are not […]
Posted in Agriculture, Alternatives/Organics, and Rodenticide Act (FIFRA), Breast Cancer, Cancer, Endocrine Disruption, Environmental Protection Agency (EPA), Immunotoxicity, multi-generational effects, non-Hodgkin's Lymphoma, Pesticide Mixtures, Pesticide Regulation, synergistic effects, Uncategorized, World Health Organization | No Comments »
10
Feb
(Beyond Pesticides, February 10, 2025) With the shutting down of key federal government programs, Beyond Pesticides is urging the public to speak out, especially on issues that preserve state and local authority to protect public health and safety in the absence of adequate federal standards. In this context, the U.S. Environmental Protection Agency (EPA) is considering a petition with a proposed policy that would, if adopted, prohibit states from issuing warnings of pesticide hazards, like cancer, on product labels. EPA is taking public comment through February 20, 2025, on the petition, filed by the Republican attorneys general (AGs) of 11* states.  The petition asks EPA to prohibit “any state labeling requirements inconsistent with EPA findings and conclusions from its human health risk assessment on human health effects, such as a pesticide’s likelihood to cause cancer, birth defects, or reproductive harm.” [*The 11 states filing the petition include: Alabama, Arkansas, Georgia, Indiana, Iowa, Louisiana, Montana, Nebraska, North Dakota, South Carolina, and South Dakota.] According to Beyond Pesticides: “The only conclusion that can be derived from this petition is that the AGs do not care if the people, including farmers, of their states are harmed by pesticides, and they should not be able […]
Posted in and Rodenticide Act (FIFRA), California, Environmental Protection Agency (EPA), Failure to Warn, Pesticide Regulation, Preemption, Take Action, U.S. Supreme Court, Uncategorized | 1 Comment »
06
Feb
(Beyond Pesticides, February 6, 2025) Months after publishing a June 2024 study regarding concentrations of pesticides discovered in legal (and illegal) cannabis products in California, the Los Angeles Times has released a follow-up exposĂ© highlighting extensive pesticide contamination, including from “hidden” pesticides that regulators have not monitored. The authors conclude that in California’s legal weed market, over half of available smoking products are found to contain hidden chemicals—toxic pesticides present in products but not regulated or monitored by state authorities. Since 2015, Beyond Pesticides has laid out health, safety, and environmental concerns related to the contamination of cannabis by pesticides (and fertilizers) alongside an imperative need to mandate an organic systems approach to cannabis production. Yet ten years later, it appears nationally that California state regulators are alone in moving forward in 2021 with state organic cannabis certification. There are other marketplace-based cannabis certification labels that require comparable organic certification practices (see Beyond Pesticides reporting here and here). For more information, please see past Pesticides and You reporting here and here. The Los Angeles Times analyzed the results from state licensed laboratory testing of more than 370 legal cannabis products, representing 86 brands. In addition to the 66 chemicals required […]
Posted in Acephate, Agriculture, Alternatives/Organics, and Rodenticide Act (FIFRA), Bifenthrin, California, Cannabis, chlorfenapyr, contamination, Fungicides, Integrated and Organic Pest Management, National Organic Standards Board/National Organic Program, organophosphate, Pesticide Regulation, pymetrozine, trifloxystrobin, Uncategorized | 1 Comment »
28
Aug
(Beyond Pesticides, August 28, 2024) The U.S. Environmental Protection Agency’s (EPA) pesticide labeling requirements fail to adequately communicate acute toxicity levels to the public, as evidenced in a recent study of consumers published last month in the journal Nature. After evaluating whether the current three “signal” words (CAUTION, WARNING, DANGER) on pesticide products adequately convey pesticide toxicity, the authors conclude that current labeling may result in “unintended adverse effects” because it does not “effectively communicate toxicity risks to consumers.” The signal words on pesticide labels, based on laboratory animal testing for determining lethal doses, are intended to protect users of the product from exposure that can kill through inhalation, skin absorption, and ingestion of the pesticide. However, the signal words do not warn about long-effects like cancer, neurological diseases, reproductive harm, as well as other adverse effects associated with pesticide exposure. (See Pesticide-Induced Diseases Database.)  The study tests two prototype labels to evaluate the effectiveness of visual elements in communicating toxicity information, citing research in cognitive psychology that indicates visual elements, like images and graphics, are more effective for conveying information than text alone. This is particularly crucial for pesticide labels, where complex toxicity details need to be communicated quickly […]
Posted in and Rodenticide Act (FIFRA), Chemicals, Disease/Health Effects, Environmental Protection Agency (EPA), Federal Insecticide, Fungicide, Herbicides, Inerts, Integrated and Organic Pest Management, Label Claims, Lawns/Landscapes, Pesticide Efficacy, Pesticide Mixtures, Pesticide Regulation, synergistic effects, Uncategorized | No Comments »
20
Jun
(Beyond Pesticides, June 18, 2024) As part of its update to the proposed U.S. Environmental Protection Agency (EPA) Endangered Species Act (ESA) Workplan, the agency held a public webinar on June 18, 2024, which provided an overview of the agency’s “Mitigation Menu Website” for “reducing pesticide exposure to nontarget species from agricultural crop uses.” [Check back to see webinar when posted by EPA.] After court decisions forced EPA to develop a strategy to meet its statutory responsibility to protect endangered species from pesticide use, the agency recognized that it is, in its own words, “unable to keep pace” with its legal obligations. Despite this acknowledgement, the agency said it would “provide flexibility to growers to choose mitigations that work best for their situation.” In this spirit, a range of people, including grower groups, gathered earlier in the year for a series of workshops in the Pacific Northwest to discuss possible mitigation measures. According to a report written by commercial beekeeper Steve Ellis (more background), concrete decisions were not reached at the workshops as participants recognized the complexities in crafting pesticide product label restrictions to protect endangered species. Mr. Ellis concluded: “If it’s so complex that it’s impossible, then no one […]
Posted in Agriculture, and Rodenticide Act (FIFRA), Endangered Species Act (ESA), Environmental Protection Agency (EPA), Herbicides, Pesticide Drift, Pesticide Regulation, Uncategorized, Wildlife/Endangered Sp. | No Comments »