October 04, 2006
Lance Wormell
Special Review and Reregistration Division (7508P)
Office of Pesticide Programs
Environmental Protection Agency
1200 Pennsylvania Ave., NW.
Washington, DC 20460-0001
wormell.lance@epa.gov
RE: Docket ID number EPA-HQ-OPP-2006-0201
I am the golf course superintendent at the Legacy Golf Links in Smyrna, Georgia.
I am requesting that the EPA reconsider its recent decision to cancel registration
of the organic arsenical herbicides (MSMA, DSMA, and CMA) in the turfgrass
market. In my role as superintendent, I am responsible for providing healthy turf
that has minimal weed issues at my golf course. This is necessary in order to
meet the demands of my customers (golfers) as my facility is located in a very
competitive golf market.
MSMA products are an important part of my weed control program because of
their effectiveness and affordability. For bermudagrass, no comparable substitute
for the organic arsenical herbicides is available. No control alternatives exist for a
number of weeds. Lack of suitable control is especially true for dallisgrass.
EPA acknowledges there is no direct replacement for the MSMA selective control
of broadleaf and grass weeds in golf course turf. However, the agency has
developed a proposed list of alternative herbicide treatments using two to three
herbicides. EPA has pointed out these proposed alternatives may be cost
prohibitive and I wholeheartedly concur with this statement. MSMA is a very
affordable and low cost herbicide. The proposed list of alternatives will be cost
prohibitive to my facility and would provide an ineffective means of dealing with
tough annual weed growth in turf. Current use restrictions of proposed alternatives
are quite problematic.
As the golf course superintendent at the Legacy Golf Links, I give high priority to
maintenance practices that do not have a negative impact on the environment.
Meeting or exceeding the expectations of my customers (golfers), while ensuring
golf's compatibility with the natural environment, is fundamental for the financial
success of my facility and a high priority for me personally.
I respectfully suggest that EPA consider restricting the use of organic arsenical
herbicides on soil types with the greatest potential for organic arsenical leaching,
but not ban them from those soils with little or no leaching potential.
I ask that the EPA take into consideration my comments as a user of this product
when making your final assessment. Removal of MSMA from the market will have
a significant financial impact on the golf industry and my facility specifically.
Thank you for allowing me to express my concerns with this decision and I highly
encourage this re-registration decision to be reconsidered.
Sincerely,
Jason Hatten, GCS
Legacy Golf Links
Comment submitted by J. Hatten, Legacy Golf Links
This is comment on Notice
Organic Arsenical Herbicides MSMA, DSMA, CAMA, and Cacodylic Acid, Reregistration Eligibility Decision; Extension of Comment Period
View Comment
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