Section 18 for Avipel use in Virginia – down but not out

Greetings,

In an email I received yesterday from Micah Raub at VDACS, he said the Section 18 for use of Avipel in Virginia was returned for lack of sufficient economic justification. One of the benchmarks for EPA approval is documentation of 20% loss, which we don’t have. However, in lieu of that, grower testimonials for 2010, as many as possible, will go a long way in swaying the argument. So, I need you to fax me (540-231-9131) ASAP your full name and address including County where bird-damaged field(s) was located; field size (ac); unit cost/bag; full name of seed used; row spacing; plant population density (i.e., # seeds planted/ac); and finally, and most important — out of a ?? acre field, the number of acres that were replanted? For example, 3 of 10 ac were replanted 2 times or 10 of 10 acres were replanted 1 time, etc.. NOTE: If you don’t have all the data I’m requesting, provide what you can, and estimate to the best of your ability the rest. Remember, some data is better than no data at all.

Also, if you sustained bird losses to corn in 2010, but did not replant, please send the number of acres/field, acres damaged/field, and estimates such as what it would have cost to replant and/or yield loss costs associated with the bird-damaged acres.

The sooner I receive this information, the sooner I can send it off to Micah Raubb, who will quickly review it, and then forward on to EPA. So I encourage you to do your part in this important matter.

Thank you,

Rod

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