U H
         NATIONAL QUALITATIVE REVIEW OF THE FY 89 STATE PESTICIDE

              ENFORCEMENT COOPERATIVE AGREEMENT PROGRAM
      The information which follows is based on the FY 89 end-of-year evaluation
      reports submitted by the EPA Regional Pesticide Branches. These end-of-
      year evaluations, completed by the Regions, focussed on the work conducted
      by the States, Tribes and Territories under the FY 89 pesticide enforcement
      cooperative agreements. This report was firs* circulated in draft form, for
      review, to the EPA Regional Offices in November, 1990,  This final report
      incorporates comments received by the Office of Compliance Monitoring's
      Grants and Evaluation Branch.
   CD
                                    Grants and Evaluation Branch
                                    Policy & Grants Division
                                    Office of Compliance Monitoring, OPTS
                                ;7NIR<.)NMcNTAL ri
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                        TABLE OF CONTENTS

I.   INTRODUCTION	 1

II.  FOLLOW-UP ACTIVITIES	 2

III. HIGHLIGHTS/SUMMARY SECTION	 3

IV.  STATE PRIORITIES	 7

V.   COORDINATION OF PROGRAMS	 11

VI.  SUCCESS IN MEETING INSPECTION PROJECTIONS	 14

     Charts:   Number of inspections completed
               number of of Actionable Inspections
               Commitments Versus Outputs
               National Figures on inspections
                 and Enforcement Actions

VII. QUALITY OF INSPECTIONS AND CASE DEVELOPMENT	 17

VIII. QUALITY OF ENFORCEMENT ACTIONS	 20

IX.  MAINTAINING FILES AND TRACKING	 21

X.   ANALYTICAL ACTIVITIES	 22

XI.  STATE LEGISLATIVE DEVELOPMENTS	 24

XII. STATE PROGRAM NEEDS	 25

XIII. REVIEW OF EPA*S PERFORMANCE	 27

XIV. RECOMMENDATIONS	 29

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        NATIONAL QUALITATIVE REVIEW OF THE FY 89 STATE PESTICIDE

              ENFORCEMENT COOPERATIVE AGREEMENT PROGRAM

I.  Introduction

      This report is the result of a national qualitative review of the FY 89 state
pesticide enforcement cooperative agreement program. It  is based solely on the
state/tribal end-of-year evaluation reports submitted by the Regions on each pesticide
enforcement cooperative agreement program.  More specifically, this qualitative
assessment focusses on the narrative portion of the evaluations, which contain a wealth
of information analyzed.  The areas of state/tribal enforcement addressed in this report
include:  enforcement priorities, the coordination of programs, the quality of inspections
and case development, the quality of enforcement actions,  state program needs,  EPA's
performance, and recommendations from FY 89 end-of-year evaluation reports.

      This document is based on fifty-six evaluations received from all  ten Regions.
(The review of the  Inter Tribal Council of Arizona's program effectively includes six
individual tribes.) The end-of-year evaluation reports  reviews varied in length and
detail depending on the reviewer and the Region. The variations  in the completeness
of the reviews tend to weaken their usefulness in ariy  effort to compare the
performance of one state with another, or one Region with another.  But the  mass of
detail provided by the end-of-year evaluations should give us a clearer g-.  :ral picture
of any national trends and of areas where the  program as  a whole is weak or working
well.

      The process  for completing such national qualitative reviews should become
more straightforward in the future.  In upcoming end-of-year state reviews, all Regions
will be addressing the same particular topics in each of their evaluations,  in addition to
any state specific or regional  specific issues which need to  be addressed based on the
Region's expertise and knowledge of individual pesticide enforcement programs.

      The purpose of the national qualitative  review was to determine what we could
learn about the implementation of the program nationally  from the individual  FY 89
end-of-year evaluations. The results of this review follow in the highlights/summary
section and subsequent pages.

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II. Follow-up Activities

      From now on, a national qualitative review of the state pesticide enforcement
cooperative agreement program will be completed at least annually.  OCM will
continue to use the Regions' end-of-year evaluation  reports on state programs as the
primary source of data  for the national review, along with other pertinent tools/sources
of data  available  to the office.

      With regard to this particular review of the national FY 89 program, OCM's
Grants and Evaluation Branch found that the information  on state priorities, quality of
inspections, state legislative  developments and EPA's approach toward  conducting semi-
annual evaluations, could be factored into this year's and next year's development,
implementation and evaluation of the state pesticide enforcement cooperative
agreement program.  More  specifically, the results of the review are being fed into
followup activities focussing on:  1) state inspector training; 2) further consistency in
EPA's approach toward and protocol for conducting semi-annual evaluations of state
pesticide enforcement programs; 3) followup on the results of EPA's individual semi-
annual evaluations of state programs; 4) the development  of an oversight manual for
state pesticide programs; 5) development of  next years's annual cooperative agreement
guidance; 6) responding to Congressional requests for information on state priorities; 7)
further justifying budget requests; and 8) future national qualitative reviews. The
highlights and results of the review follow.

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III. Highlights/Summary Section

      This section includes the highlights and summary information on most of the
specific subject areas addressed in this report.  More detailed information is included in
sections III - IX.

      Priorities;  Thirty-five of the 56 FY 89 end-of-year reviews discussed the
priorities of the State/Tribal lead agency.  Followup on cancellations/suspensions of
pesticides was the national enforcement  priority which EPA included in its FY 89
national state pesticide cooperative agreement guidance.  The states had  their own,
additional priorities.   Based on these 35 end-of-year evaluations, the following were the
top four areas  listed as FY 89 state priorities for enforcement:

       1)     monitoring suspended and  cancelled pesticides;
      2)     handling, storage and disposal of pesticides;
      3)     pesticide drift; and
      4}     pest control operations  (particularly structural pest control operations

      Coordination of Programs:  Twenty-six end-of-year evaluations commented  on the
quality and development of cooperation  between agencies within a State  or Tribe.
Remarks in the reports were generally po :'-'ve,  especially with regard to  State Lead
Agency relationships with their respective  Cooperative Extension Services.

    However, this national review did highlight  the importance of ensuring that
"COOT  iination of programs", including coordination between States and Tribes,  is
specifically addressed in every future  end-of-year evaluation and the resulting  sports.
A separate discussion on "End-of-Year Evaluations Completed by EPA Regional
Offices" is included at the  end of the highlights  section and identifies areas which
generally need  to be  addressed further in EPA's end-of-year reviews.

       Success in Meeting Inspection Projections:       Nationally, states and  tribes
completed 189% of their inspectional commitments (14,513 projected versus 27,392
completed).  It seems that projections negotiated by the States with the Regions are
normally conservative, a circumstance that partly accounts for this high percentage of
inspections completed.  Only one Region fell short on its overall state grant
commitments.  Forty-three state and tribal lead  agencies  (SLAs) did not  meet
projections (95% or less) in at least one inspectional category.  Thirty-two of these
were  reported to have conducted significantly fewer (66% or less) than the number
projected in  at least one category.

      The t pes of inspections where states and tribes were most likely to fall short of
projections were experimental use, non-agricultural use and agricultural use inspections.

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       Most of the reviews did not fully explain why a state or tribe did not complete
the number of inspections projected.  Of those that did provide explanations, ten
referred to understaffing; three states pointed to other, more pressing priorities; three
states indicated that they did not complete follow-up  inspection projections because
they received fewer complaints than expected.

      Quality of Inspections and Case Development;  Fifty end-of-year reviews
commented in some way on the quality of the State Lead Agencies (SLAs) and Tribes'
inspectional and case  review activities. The following information is based on these  50
reports.

      Twenty states and tribes (or 40%) found investigation files to be complete and
properly documented.  Weaknesses in one or more aspects  of the quality of inspections
and case development were found in  thirty states and tribes.

      Weaknesses in  the documentation of inspections (photographs, maps, affidavits,
etc.) were identified in reviews of 14  state  enforcement programs (or  28% of the
reviews).  Several of these  problems involved documentary samples, especially the
collection  of product labels. The other problems noted are discussed late in the report.

      Very few reviews noted problems in the area of timeliness of reports, responses
to complaints and case reviews.

      Seven reviews identified problems in the quality of the inspection reports, and
seven SLAs were reported to  have not used or improperly used certain forms
associated with inspections (i.e. NOIs).

      Two reviews from two  different Regions noted delays in the Regions' processing
of referrals from the State, while difficulties in referrals from the Region were
identified  in five states.

      Quality of Enforcement Actions; Thirty-three reviews commented  on some aspect
of the quality of the SLAs' enforcement actions.  Approximately two-thirds of these
reviews made generally positive  comments about the  enforcement actions being taken
and did not indicate significant areas  needing improvement.

      The remaining third (of these 33 reviews) identified problems including the
following:  unavailability of attorneys to address enforcement issues; delays in taking
enforcement actions; enforcement actions  inconsistent with state enforcement response
policies; inconsistent application of the state's penalty matrix; and a deficiency in the
state taking enforcement actions.

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      Analytical Activities; Fourteen of the thirty-eight reviews (or 39% of the reviews)
that addressed lab performance identified a problem in the timely provision of sample
analyses.

      Not many reasons for the slowness of sample turn around time were given in
the evaluations.  Five states indicated, however, that the unavailability of suitable
methodology and standards had slowed analysis.  One  state in particular claimed that
residue  samples  were delayed due to lack of available  methods and standards to
analyze  many newer pesticides, while another cited the lack of a  suitable methodology
for the  analysis of active ingredients for their delay in  providing the results  of
formulation samples.

      Eight state labs identified a need for additional  equipment, although not all of
them  specified what type. Five state labs said  they needed a gas or liquid
chromatograph,  or both; another specified a GPC cleaning system.  Three labs
identified a need for additional personnel or for reassigning personnel to conduct
pesticide analyses.  One reviewer commented that unless something is done to change
the career structure and salary in a particular state's lab, it seemed that personnel
shortages would be a perpetual problem.  Two labs identified a need for additional
training for their chemists. Other needs:  material safety data sheets (1 state),
updating of ASD sample tracking system (1), a geographic information system (1),
increased laboratory resources (1).

      State Legislative Developments; Nearly all the reviews addressed the section on
legislative and regulatory developments in the states and tribes.   The reviews did
indicate that there is significant movement nationally towards instituting or increasing
states' civil penalty authorities, which sixteen of the reviews addressed.  Six  reviews
reported that their states gained civil penalty authority in FY 89; six others report that
civil penalty authority had been proposed or recommended; and  four states obtained or
sought in FY 89 modifications in their civil  penalty authority.

      State Program Needs;   In the FY 89 end-of-years,  twenty-one States and Tribes
expressed the need for additional training.   Fifteen of  these requests were for training
for field inspectors.  Nine SLAs expressed a need for guidance or training on the new
pesticide initiatives (groundwater, endangered species and worker protection).

      Review of EPA's Performance;  Eighteen reviews  addressed  the views of the  SLAs
toward  EPA.  Nine SLAs commented on the shortcomings in EPA's communication
with States. Seven of the nine comments came from States in two Regions.

      Recommendations included in End-of-Year Evaluations of State Programs;

      Forty-four of the reviews included Regional recommendations on how the State

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could improve its performance in some way. The categories for recommendations
included the following:  1) suggestions for procedural changes; 2) updating required
grant-related documents within the state; 3) improved performance; 4) training; 5)
analytical; 6) legislative or regulatory changes; 7) personnel changes; 8) tracking/data
systems;  9) improved coordination within State/Tribe; and  10) increased coordination
with EPA.  It was interesting to note than many of the problems identified in previous
sections of the individual evaluation reports were not followed by specific
recommendations to the State or Tribe in the "recommendations" sections.
      Areas Needing More Attention bv EPA When Conducting Future End-of-Year
Evaluations

      This national qualitative review indicated that EPA needs to focus more
attention, in general, on certain areas when conducting semi-annual evaluations of state
pesticide enforcement grant programs.  Some of these areas include the following:

      a)  All aspects of a state program outlined in the format for conducting end-of-
      year reviews (in the annual cooperative agreement guidance) should be
      addressed.  If a particular area does not apply to a state or tribe, then the
      evaluation report  should state so; b) all significant problems identified in any
      aspect of the state or tribe's program should be addressed in the
      recommendations, as mentioned earlier; c) more detailed information needs to
      be provided on whether or not State and national priorities were addressed; d)
      in discussing the  quality of inspection reports, case files, case development
      activities and enforcement actions, the Region needs to be specific about the
      areas in which a  state/tribe is weak, if any (i.e., information missing from
      reports, timeliness of enforcement actions; etc.) in discussing the state's analytical
      performance, the  review should indicate the average  turn-around time for sample
      analyses.

             The national protocol for conducting FY 91 and future  end-of-year
evaluations will be revised based on the information gained through this review and
circulated to the  EPA Regional Pesticide Branches for comment.  The  national
protocol will not   limit a Region's evaluation; it simply helps to ensure  that certain
topics are address, as a minimum, in every end-of-year evaluation.

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IV. STATE PRIORITIES

      Thirty-five of the fifty-six reviews discussed or referenced the priorities of the
state/tribal lead agency.  Three Regions did not provide enough information on state
priorities in their reviews to be included in this section. (The Priorities for tribes in
Region  VIII are determined, as necessary, by the Region.)

      The top national enforcement priority to be addressed by the states for FY 89
was cancellation/compliance inspections; these  were defined by EPA in the FT 89
Cooperative Agreement Guidance as followup on major cancellation actions,
suspensions, changes in classifications and stop sale, stop use  or removal orders.   In
addition to  this, each  state is required to have its own priorities, some of which overlap
with the national priority.

      Each of a state or tribe's listed priorities were  grouped with similar priorities
from other states and tribes to identify the most significant state priorities nationally,
based on the 35 reviews, and to determine if certain priorities were focussed primarily
in any particular Region.  As stated, the following is based on 35 end-of-year
evaluation reports.  In the  parentheses next to each title, we have indicated the number
and percentage of states listing this topic as priority.

MONITOR SUSPENDED AND CANCELLED PESTICIDES  (19 states/tribes or 49% of the
states and tribes whose priorities were listed)

      Seventeen of the state and tribal lead agencies identified as one of their own
priorities in the reviews. (This is 49% of the states from whom information was
available in the evaluations.) Most of these SLAs are located in Regions IV and V.
Based on a review of c ^operative agreement applications by the Grants and Evaluation
Branch, it is recognized that the majority of other states commit to following up  on
compliance  with suspensions and cancellations  in their agreements; these states simply
did not  list follow-up in this area as one of their state priorities.

HANDLING, STORAGE AND DISPOSAL (15 or 43%)

      Fifteen SLAs (or 43%) identified the handling, storage and disposal of pesticides
as a top priority, with most of these citing only disposal of pesticide containers as the
predominate concern.  The distribution of this priority was spread fairly evenly
throughout the country.  For example, North Dakota  emphasized addressing the
disposal of pesticides wastes and containers in coordination with RCRA;  Indiana
identified runoff from pesticide storage and loading facilities and bulk handling and
distribution  facilities as a major concern; Colorado planned to develop an enforcement
program for the storage of pesticides and containers.

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DRIFT  (14 or 40%)

      Fourteen states (or 40%) identified drift from both aerial and ground spraying
as a major concern.  Regions IV, V and VII each had three states with drift as a
priority.
PEST CONTROL INDUSTRY  (12 or 34%)

      Twelve states (or 34%) identified the monitoring of Pest Control Operators or
PCOs as a priority.  Six of these specifically targeted the structural pest control
industry, with all of these states focussing on mis-use.  Indiana, for example, was
concerned with  below standard application techniques,  but they also emphasized
planned use investigations to ensure compliance with registration requirements for
technicians.  Maryland also emphasized termite inspection certificates.  The distribution
of this priority was focussed in Regions V and VI, but Regions III and VIII each had
more than one  state prioritizing PCOs.

GROUNDWATER  (11 or 31%)

      Eleven states identified groundwater protection as a priority.

MIS-USE  (7 or 20%)

      Seven states identified  general mis-use investigations as a priority without
focussing on a particular type of mis-use. Three Region IV states emphasized
"strengthened enforcement activities regarding the investigation of alleged pesticide
misuse.  All but one  of  these  SLAs were from Regions IV and X.

WORKER PROTECTION (6 or 17%)

      Six states identified worker protection as  a priority for FY 89, although only two
of these specifically mentioned the planning for  implementation and enforcement of the
revised  Worker Protection Standards.  New Mexico emphasized involuntary exposure to
agricultural workers or applicators to pesticides, while Washington specifically
mentioned farmworker exposure.  (Planning for  worker protection enforcement became
a national priority in FY 90.)

      Distribution:  3 of the 6 states in Region  IV, and the rest in different Regions.

RUP DEALER INSPECTIONS  (5 or 14%)

      Distribution:  3 of the 5 states in Region  V, and the rest in different Regions.
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      Four SLAs identified misuse in urban areas as a priority.

      Distribution: 4 different Regions

PROPER LICENSING  (4 or 11%)

      Emphasis on proper licensing in general was indicated for 4 states.
      Distribution: 2 from Region VI and the rest in different Regions

MAJOR SPRAY PROGRAMS  (3 or 9%)

      Three SLAs emphasized pesticide use problems associated with major spray
programs, such as the Gypsy Moth Quarantine and Control Programs.

      Distribution: 2 from Region V and the rest in different Regions

HOME Mis-USE AND INCIDENTS  (3 or 9%)

      Georgia listed mis-use around the home as a priority, while Utah specified the
home mi?  e of 2,4-D.  Pennsylvania zeroed in on home yard incidents.

PEI INSPECTIONS (2 or 6%)

TRAINING NEEDS (2 or 6%)

PRO i ECT DOMESTIC ANIMALS  (2 or 6%)

ENVIRONMENTAL EFFECTS  (2 or 6%)

ENDANGERED SPECIES  (2 or 6%)

FOOD SAFETY  (2 or 6%)

NON-AG INDUSTRY  (2 or 6%)
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V.  COORDINATION OF PROGRAMS

      For the purposes of this report, the coordination of state and tribal pesticide
enforcement programs with other agencies has been divided into three levels:  a)
coordination between agencies within the same state; b) coordination between different
states and between states and tribes, and c) coordination between state and federal
agencies (excluding EPA, a topic which will be addressed  in later sections addressing
EPA's performance and state needs).

      A. COORDINATION BETWEEN INTER-STATE (OR TRIBAL) AGENCIES

      A total of 26 Regional reviews commented on the quality and development of
cooperation between agencies within a state or tribe.

      Remarks were generally positive, especially in regard  to SLA relationships with
their respective Extension Service (13 comments). Most of these concerned the
continuing cooperation with Extension on certification activities, particularly concerning
the updating and development of training and testing materials.  In Nevada the SLA
and the Cooperative Extension services shared information on violation rates, while in
Colorado the SLA was working with Extension Specialists, along with agricultural
producers, pesticide applicators and industry representatives, in  an effort to evaluate
and resolve problems surrounding the misapplication of sulfonyl urea.

      Eight reviews  mentioned positive coordination with  state  Departments of Health.
Three SLAs reported that they contact their departments of health when certain
pesticiutf-r .-lated instances arise; in North Dakota and in Hawaii, for example, MOUs
exist to  ensure cooperation on the disposal of household and farm hazardous  wastes.

      Groundwater was also a prominent area for cooperation  between agencies, with
seven reviews explicitly mentioning cooperation. The agencies involved varied,
howeveT  Montana's SLA was designated to work with the state Department  of Health
and En   jnmental Sciences to set water quality star  irds for the new agri-chemicals in
groundwater programs.  In  Arizona, efforts on grounuwater were coordinated between
the Office of State Chemist and the Department of Environmental Quality. In Texas,
it was anticipated that in 1990 there would be efforts to establish an MOU with the
Texas Water Commission on issues relating to groundwater.   Washington's SLA
developed MOUs with the State  Department of Ecology and the Department of Health
to develop and implement an agricultural chemical in groundwater management plan.
The Navaho SLA exchanged information with the Drinking Water Program on livestock
dipping  vats, well water and vulnerable ground water areas.

      Relations with other state  agencies and reorganizations with the SLA were also
frequently reported in the  reviews.  On the Navaho reservation, the Division of

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Resources and the Division of Water Resources were merged into the Division of
Natural Resources.  In Oregon the legislature established the Pesticide Analytical and
Response Center (PARC) as a mechanism for coordinating investigation of pesticide
complaints involving human health or environmental  effects among  various state
agencies, including of course the pesticide SLA; the SLA conducted investigations as
requested by the Director of PARC.  In New Mexico, the SLA was considering doing
an MOU with the State Highway Department regarding licensing.  Texas developed an
MOU with the Texas Department of Corrections, which agreed to conduct  inspections
to determine whether Federal/State pesticide laws and standards were currently being
met in the state's prisons. Washington State had  a MOU with the Washington
Department of Labor and Industries for the purpose of defining roles and
responsibilities of each party for the  protection of workers from pesticide exposure;
similarly, Oregon was planning to enter into an MOU with the state OSHA regarding
investigation of cases involving pesticides  and procedures for referrals.  In Rhode
Island, the state Relief Advisory Board appointed by the legislature meets with the
director of the state pesticide program to  make recommendations regarding pesticide
legislation and regulations.

      One review remarked that a state  with several field offices was not processing
cases uniformly.  No elaboration on this problem was given in the review.

      B. COORDINATION BETWEEN STATES AND BETWEEN STATES AND TRIBES

      Two reviews  from Region 4 commented on relations between states. One
review noted that Kentucky had reciprocal agreements in place with Indiana and
Tennessee regarding certification, and also said that MOUs may be necessary with
neighboring states for inter-state violation  procedures. Tennessee had a special project
in FY 89 to examine Certification Reciprocity in Region IV and explore the possible
development  of a plan to combine exam  information from all Region IV states into a
common pool of questions.  These could  then be  used by all states  independently,
resulting in a certification process that would then allow applicators to operate between
states using the same license.

      Four reviews touched on state/tribal relations. The Cheyenne River  Indian
Tribe mentioned that occasional joint inspections, using  tribal authority, are conducted
on the reservation with state South Dakota inspectors.  Other states have developed
agreements with tribes.  Washington's reviewer noted that even though a good working
relation existed between the state and various tribes, there had been a move toward
formal written agreements instead of the  traditional verbal agreements.  One verbal
agreement with the Yakima  Indian Tribal Council  allowed state inspectors to enforce
state law on the reservation.  A formal MOU was anticipated for FY 91.  One
reviewer recommended cooperation between North Dakota and Ft.  Berthold to ensure
a consistent program within state boundaries.

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      C. COORDINATION BETWEEN STATES/TRIBES AND FEDERAL AGENCIES

      A few reviews mentioned coordination between SLA's and federal agencies other
than EPA.  Region IV recommended increased cooperation between the Tennessee
Department of Agriculture and the Food and Drug Administration (FDA).  The review
noted the two agencies needed to inform each other to facilitate the coordination of
inspection schedules;  the reviewer also remarked  that it may be necessary to develop
an MOU similar to the one that exists between EPA and FDA.  Louisiana's SLA had
plans underway to work with various agencies, such as the FDA and the USDA, in
connection with the state's new Food Safety Plan. Louisiana was also working with the
state's Environmental Quality agency and the U.S. Geological Survey on a statewide
advisory committee on groundwater;  necessary MOUs were in the works.  New Mexico
had MOUs in place with several federal agencies, including the  USDA's Animal
Damage Control and the U.S. Forest Service, regarding training, testing and licensing.
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VI. SUCCESS IN MEETING INSPECTION PROJECTIONS

      Nationally   .ates and tribes completed  189% of their inspectional commitments
(14,513 projected versus 27,392 completed). Projections negotiated by the States with
the Regions are normally very conservative, a  circumstance that partly accounts for the
high percentage of inspections completed.  Only one Region (VII) fell short on its
overall state grant commitments.

      Forty-three state and tribal lead agencies, however, did not meet projections
(95% or  less) in at least one inspectional category.  Thirty-two of these were reported
to have conducted significantly fewer (66% or less) than the number projected in at
least one category.

      The types of inspections where states and tribes were most likely to fall short of
projections were experimental use inspections  (18 states and tribes), non-agricultural
use (17)  and agricultural use (16).  The following chart gives the number  of
states/tribes that did not accomplish projected outputs, by inspection category.

                                                  STATES/TRIBES
      Experimental Use                           18
      Non-Ag Use                                17
      Ag Use                                     16
      Producer                                   14
      Non-Ag Followup                            11
      Dealer Records                              10
      Certified Applicator                          10
      Ag Use Followup                            8
      Marketplace                                 8
      Import                                      4

      The categories in which significant (66% or less) shortfalls were reported
include:

                                               STATES/TRIBES
      Experimental Use:                          16
      Non-Agricultural Use:                        11
      Agricultural Use:                            11
      Producer Establishment                      7
      Certified Applicators:                        6
      Aer' ultural Follow-up:                       5
      NOi  Ag Use Follow-up:                      3
      Import:                                     3
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STATES NOT MEETING PROJECTIONS IN MORE THAN ONE CATEGORY

      Some states failed to meet inspection commitments in more than one category.
The following chart describes how many states and tribes failed to fulfill their
projections in one or more categories.
                         Number of Categories
                         1234
Number of States/Tribes   11
Not Meeting Projections
10
                        6
      The number of states that fell significantly short of projections in more than one
category also varied.

                         Number of Categories
                         123456

Number of States/Tribes   12    8     7     5     -
Not Meeting Projections

REASONS FOR INSPECTIONAL SHORTFALLS

      A majority of the reviews gave little or no explanation for why a state did not
complete the number of inspections projected.  Those that were given, however, cited a
number of similar circumstances:

      - ten  evaluations pointed to understaffing. Five  of these situations were caused
      by one or more inspectors leaving the program unexpectedly. One state was
      reported to be undergoing a severe fiscal crises,  which had depleted the staff.

      - three evaluations reported other priorities preventing a state from completing
      inspections in certain categories.  Two states, for example, were unable to
      complete all its producer establishment inspections because the number of
      follow-up inspections exceeded the number projected. The third state simply
      claimed that other priorities  (Alar, food safety, insecticide  chalk, etc.) interfered.

      - three states claimed that they didn't complete the non-agricultural use follow-
      up inspections projected because they received fewer complaints than they
      expected.  Similarly, one state did not have any occasion to perform any of the
      four experimental use inspections projected.

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- one SLA mentioned its reorganization as a reason for falling short of
projections in several categories.

- two SLAs had problems with reporting their inspection numbers to EPA.  One
of these states said that they had changed from reporting the number of
inspections initiated to  the number of inspections completed, which resulted in
lower reported  accomplishments.

- one state attributed the shortfall in the number of certified applicator
inspections conducted to a planning oversight; many of their State inspections
could have been conducted as federal inspections instead.
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VII. QUALITY OF INSPECTIONS AND CASE DEVELOPMENT

      Fifty of the fifty-six reviews made comments on the quality of the SLAs'
inspectional and case review activities.  The comments are grouped below according to
the subject addressed: 1) documentation; 2) quality of inspection reports; 3) use of
proper forms; 4) completeness of inspection; 4) enforcement actions; 5) timeliness of
response to complaints and tips; 6) timeliness of inspection reports, case review; and 7)
referrals.

      Twenty of the fifty reviews made generally positive comments on the quality  of
inspections and case development, with at least 17 reviews (40%) finding the
investigation files to be complete and properly documented. Weaknesses in at least
one aspect of inspections and case  development were noted in 27 states and tribes.
The depth of the Regional analyses of these problems, however, varied more in this
area than in others.  Some Regions (such as Region V) seemed to  have performed  an
exhaustive review of the case files,  and noted the slightest inconsistency or  weakness,
while some other Regions made only very general comments.  It could be difficult to
draw  any firm conclusions from any comparison of the performance of one state
against other states, since this might be more a measure of the depth and  detail of  the
review itself rather than the performance of the state. The value of this assessment on
weaknesses in the quality of inspections and case development, therefore, lies mainly
with the  identification of problems  that were most frequently reported.

DOCUMENTATION

      Weaknesses in  the documentation of inspections were identified in fourteen
SLAs (28% of the review   Several of these problems involved documentary  samples,
especially the collection -    roduct labels.  The "documentation" problems  identified
included  the following:

      - some inspectors  in one state were relying on specimen labels from their office
      files, rather than pulling  the label, whenever possible, from the actual pesticide
      product applied by users;

      - in one state, many marketplace inspection reports lacked shipping
      documentation;

      - in a  different state, the general evidence gathered was adequate except for  lack
      of product labels;

      - two states were not uniformly completing inspection reports within the same
      state;
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       - two Tribes were not documenting all their inspections properly;

       - in one state, some cases were noted where the inspection form indicated a
       possible problem, but not enough information was presented to evaluate whether
       an enforcement action was warranted;

       - in another state, maps were not properly labeled or lacked complete
       information, and not all observed violations were documented;

       - three states in one Region were reported to have significant problems with
       documentation.  A review of the files indicated a lack of documented chain of
       custody for samples, lack of written statements by interviewers, inconsistencies on
       photographic evidence and its authentication, and incomplete documentary
       samples.
QUALITY OF INSPECTION REPORTS

      Weaknesses in inspection reports were identified in six SLAs, with all the
comments focussing on the narrative.  In one state, for example, the reviewer found
that statements as to whether or not producer facilities were in compliance were used
instead of concise, clear and  objective narratives on the observations made and the
questions/answers obtained during the inspection.  In two other states also in the same
Region, the narratives were found lacking; in one, a number of inspection files  did not
contain narratives for sufficient case review and enforcement disposition, and in the
other, the narratives of marketplace inspections were incomplete. The narratives in
three  other states were also weak.   In one state, most  case files were lacking a
narrative; the narratives in another  were difficult to understand due to poor
organization and the inclusion of irrelevant information; in a third state no descriptive
information beyond a checklist was  provided in reports. One Indian Tribes was also
reported to have done incomplete reports in several inspection types, not including
narratives or any kind of description about the kind of inspection activities taking place
and about the site of the inspection itself.

USE OF PROPER FORMS

      Six SLAs were reported  to have not used or improperly used  certain forms
associated with inspections.  Four of the six involved Notices of Inspection (NOIs).  In
one case reviewed in one  state,  an  NOI and Facility Inspection form was not used. In
three  states, NOIs were not being used  on a routine basis.  Another state has
continued to use an outdated NOI  form that lacks a place to enter current inspection
category  numbers.
                                        18

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COMPLETENESS OF INSPECTIONS

      Two SLAs were reported to have not completed a significant number of
investigations.  In another state, several cases were closed on the basis of insufficient
evidence, yet the investigations themselves were incomplete.  One review of a tribe said
that more thorough inspections could be conducted in cases such as pesticide exposure
incidents, fish kill, drift of pesticides over residential areas, etc., to determine the type
of violation that may have taken place.

REFERRALS

      Difficulties with referrals from Regions to States were found in five states, three
of which are in the same Region.  In one state the turn around time on inspections
had almost always been adequate, but there were a couple of special request referrals
that were not completed and returned to the Region in time to meet Headquarters'
deadlines.

      Two review  from two Regions noted delays in the Regions' processing of
referrals coming  from the state. One Region was reportedly far from its goal of taking
action on  state referrals within 60 days of receipt.
TIMELINESS OF  REPORTS, RESPONSE TO COMPLAINTS AND CASE REVIEW

      Very few reviews noted problems in this area.  Two states were noted for their
slowness in generating inspection reports, although in one case this was apparently due
to a backlog of complaints. Two states were also found to be slow to  develop their
cases, although the reviews provided no elaboration on this.  One reviewer noted the
State's slow response to follow-up on cases.

AVERAGE TIME TAKEN TO RESPOND TO COMPLAINTS

      Seventeen reviews provided at least some information on the average time an
SLA took to respond to  complaints, and all of the comments were  positive. Some
reviews simply called the response time "adequate" or "prompt," but others provided
rough or exact (Region III) numbers of the average response time.
                                       19

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VIII. QUALITY OF ENFORCEMENT ACTIONS

      Thirty-three reviews commented on some aspect of the quality of the SLA's
enforcement actions.  Approximately two-thirds of these comments were positive.

      Four states were reported to be having trouble keeping up with enforcement
actions.  In two of these states, the unavailability of an attorney to address enforcement
issues delayed enforcement actions, or attorney time was not always available, and
bottlenecks developed during peak season periods. A third state also had trouble
keeping up with case development load since a case development position was lost
several years before  due to budget cuts.  One state reported that violative cases were
generally handled promptly, except when they were delayed awaiting completion of
sample analyses.  One review included a graph indicating a 60% deficiency in the state
initiating enforcement actions within agreed-up timeframes.

      Eight reviews touched on the SLA's Enforcement Response Policy (ERP) or
Enforcement Matrix.  Three states were  reported to have taken actions inconsistent
with their respective penalty matrices.  One state was apparently no  following its
penalty ~>atrix at all; in a second state there were inconsistencies in penalties issued for
the sam  violation; a   in the third the reviewer found a significant number of cases
where it seemed that me state was not consistently applying the penalty matrix and
issuing less stringent actions than the  matrix prescribes.  The other comments on ERPs
reported developments of new penalty matrices or made suggestions on how to redraft
the current ERP.  One state, for example, was advised to remove the subjectivity of
the enforcement guidance document and to expand the violation type/gravity matrices.

      With regard to the other enforcement problems noted in individual states and
tribes, in one  state, several cases which appeared to contain adequate evidence and
documentation of violations were left incomplete without any indication of the state's
intent to pursue remedies or enforcement actions, and less than  10% of the total
enforcement actions reported to EPA were verified by documents contained in the case
files;  another  state had no authority to issue minor enforcement  actions; and for
another state  the evaluation suggested that the state consider changing the language of
its warning letters from requesting changes of compliance to more stringent
enforcement action.
                                        20

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IX. MAINTAINING FILES AND TRACKING

       Seventeen reviews (in only four of the ten Regions submitting reviews)
commented directly on the quality of the files and the tracking systems in the SLAs.
Eight of these did not identify any problems.  Nine of them, however, reported modest
to significant problems that need to be addressed by the states concerned.  In  two
states the tracking systems were reportedly in severe disarray.  In one case, no real
correlation could be made between the inspections and actions recorded in the
quarterly reports due to  the inconsistencies within the  tracking procedures.  In the
other,  the tracking system did not maintain specific information on  individual
inspections; it could not  distinguish between routine inspections and complaint  or
misuse inspections, and case files were assembled without regard to sequence or order.
Tracking systems in two  other states were also found to be  inadequate.  Two additional
states were having trouble completing their PETS projects because  of difficulties in
getting the program on-line.  One state's conversion of its system to a mainframe
computer was not entirely successful;  information was  accessible only on a crisis basis.
                                         21

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X. ANALYTICAL ACTIVITIES

      Thirty-eight of the fifty-six end-of-year evaluation reports addressed one aspect
or another of the performance of the State's laboratory.  Areas addressed included
timeliness of sample analyses, minimal standards, and laboratory needs.

TIMELINESS OF SAMPLE ANALYSES

      Fourteen of the thirty-eight reviews that touched on at least on aspect of lab
performance (37%) identified a problem in the timely provision of sample analyses.

      Eight reviews specifically mentioned that a sample backlog was found, although
two of these labs were behind in residue  samples and not formulations samples.
Another lab was behind only in formulation samples.  (Most of the reviews did not
distinguish between formulation and residue samples.) Three of these reviews
identified the length of the backlog:  three months, four weeks and two weeks.

      Eighteen evaluations commented on tho average turn  around  time for sample
analyses, although six of these did not provide an average number.  Of the remaining
twelve evaluations that did provide a number, one state lab's turn arounc  me
averaged less than a week; five averaged  less  than a month;  four averaged less than
two months; and three averaged more than three months.  (Only two of the states
identified as having sample backlogs  are included in these figures.)  One review
commented that several of the lab's samples were processed  so slowly (the state
averaged 42.7 days for residue, 59.2 days  for formulations) that the results could not be
considered reliable and possible enforcement actions were dismissed on the basis of
inadequate laboratory data.

      Not many reasons for the slowness of sample turn around time were given i;i
the evaluations. Five  states indicated, however, that the unavailability of suitable
methodology and standards had slowed analysis.  One state in particular claimed that
residue samples were delayed due to lack of available methods and  standards to
analyze many newer pesticides, while another  cited the lack of a suitable methodology
for the  analysis of active  ingredients for their  delay in providing the  results of
formulation samples.  One state was  behind on its formulation sample because the
large  number of residue samples being collected during the 3rd and  4in quarters of the
project  period required chemists to be temporarily reassigned to meet that demand.

MINIMAL STANDARDS

      Four reviews identified proi       ith a lab's minimal standards or standard
operating r- ^edures, although det^.      re sketchy.  One state lab did not have
standard c    ting procedures in place.  A reviewer for another state (in the same

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Region) referenced an earlier NEIC report on that state's program which questioned
the legal defensibility of cases for which laboratory results were crucial evidence; the
state needed to refrigerate vegetative samples during shipment and document sample
chain-of-custody beginning at the time of collection, rather than upon  receipt by the
lab.

STATE LAB NEEDS

      a)     Equipment:  eight state labs identified a need for additional equipment,
             although not all of them specified what type.  Five state labs said they
             needed a gas or liquid chromatograph, or both; another  specified a GPC
             cleaning system.

      b)     Three labs appeared  to be having problems obtaining needed standard
             samples, and one of these labs also needed information on what to do
             with residue sample disposal.

      c)     Three labs identified  a need for additional personnel or  for reassigning
             personnel to conduct  pesticide analyses.  One reviewer commented that
             unless something is done to change the career structure and salary in a
             particular state's lab,  it seems that personnel shortages would be a
             perpetual problem.

      d)     Two labs identified a need for additional training for their chemists.

      e)     Other needs:  material safety data sheets (1 state), updating of ASD
             sample tracking system (1),  a geographic information system (1), increased
             laboratory resources (1).
                                        23

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XI. STATE LEGISLATIVE DEVELOPMENTS

      All but three of the reviews addressed some aspect of changes made or
proposed to state pesticide laws, regulations  or procedures.  Of these, sixteen review
addressed the state's civil penalty authority.

      Six reviews reported that the respective SLAs were granted or began using
authority to administer civil penalties in FY 89.

      Another six reviews reported that civil penalty authority had been proposed or
recommended in the state.  In one state, for example, the Pesticide  Review Board was
planning to take drafts of the revised pesticide laws, including a measure to establish
civil penalty authority to the state legislature. In another state, an amendment
allowing for this avMV.  rity had already been submitted to the legislature.

      The reviews  also revealed th^t four states have obtained or are seeking
modifications in tl     civil penalty   thority.  In one state, for example, at least two bill
were to be submiu^d to the legislature requesting an increase in the maximum penalty
under a civil action from $500 to $5,000.  In another state a bill passed that expanded
the SL  's enforcement authority by giving it a consistently broad range of
administrative penalties.
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XII. STATE PROGRAM NEEDS

       As part of the recommended format for FY 89 and 90 end-of-year reviews,
there was a section on state program needs.  These are not recommendations on what
a state needs  to do to improve its program, but rather areas where a state  or tribe
feels it needs  assistance or resources from outside sources, i.e., EPA.  State program
needs  were broken down into five categories:  1) training; 2) equipment; 3) personnel;
4) funding; and 5)miscellaneous.

TRAINING AND GUIDANCE

       Twenty-one states and tribes expressed  the need for additional training.  Fifteen
of these requests were for training of field inspectors. Six of these came from one
Region which  has since held additional inspector training sessions.  Five requests came
from a second Region.  One state expressed a particular interest in training for
agricultural use, non-agricultural use and producer inspections.  Another state would
like to have training in "up-to-date" inspection and investigation techniques, and an
Indian tribe, similarly, would like to have advanced inspector training. Two SLAs
would  like to have training in  personal safety for their inspectors.  Three states in three
different Regions would like to have case development training.

       Two SLAs expressed an interest in computer training, one for an improved
tracking system and the other on EPA computer classes relating to risk  assessment and
decision-making. Other types of training needs include toxicity and hazard
communication, additional training for chemists,  and groundwater training.

       Nine SLAs expressed a need for guidance or training on the new pesticide
initiatives (worker protection, groundwater and endangered species).  Most of the
remarks about the guidance needed suggested that general training and  information on
the initiatives would suffice. One state, however, specifically requested information
regarding the specific endangered species located in that state, and another requires
specific guidance on developing a state groundwater protection plan.  Five of the 9
states requesting guidance and/or training on the new initiatives are in one Region.

       One state would like clearer guidelines  on EPA compliance  Strategies. Three
states needed  better up-to-date information on suspended/cancelled products from
EPA,

EQUIPMENT

       Eight SLAs expressed a need for more  or improved equipment, with four of
these specifying computers.  One state needs an improved/new telephone system, and
another needs lab equipment.
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ADDITIONAL FUNDING

      Nine SLAs expressed a need for additional funding.  Three states and one tribe
needed  funding to hire additional staff, and another state (Texas) expressed a pressing
need for more funding in their enforcement program.  Region 1 reviews indicated that
the two of their states appear to be under-funded at the state level.

PERSONNEL

      Eight SLAs identified a need for additional personnel.  Three of these states are
in one Region,  and two others  are in a second Region.

OTHER

      Three states in one Region expressed a need for continued visits by the Project
Officers; one of these states wanted to see, in particular, EPA participation in
commercial applicator training sessions.

      Two states expressed a need for help in lab analyses.  One of these states was
interested in EPA re-establishing a chemistry lab for disinfectant testing, saying that the
lack of established standards has hampered state efforts.  The second state needed help
in analyzing "difficult/problem" samples.
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XIII. REVIEW OF EPA'S PERFORMANCE

      Eighteen reviews addressed the views of their respective SLAs towards EPA.
Comments fell into four categories:  1) State/Region communication; 2) EPA guidance;
3) EPA Financial Assistance; and 4) miscellaneous.

STATE/REGION COMMUNICATION

      Nine SLAs commented on perceived shortcomings in EPA's communication with
the states.  Four states in one Region said that a better line of communication was
needed with the  Region, with one state hoping that the managerial changes then
underway would  make for better communication with both agencies. One state
complained of the slow response on the part of the Region to SFIREG requests for
training of inspectors and case development staff.

      Three states in another Region expressed concern over problems in state/EPA
communication.  One of these states discussed the lack of feedback from other EPA
Regions on referrals  sent to them  and poor responsiveness to inquiries from other
Regions.  Another commented on the tardy arrival of training course notices/advisories
from Washington. The third state did not feel that EPA should announce anticipated
publication for new rules, etc., because it forces the states to  make commitments which
usually are not met because of EPA delays/postponements of the target date.

EPA GUIDANCE

      Three SLAs had comments on EPA's guidance (this subject was also partly
addressed in the section on State Program Needs). Two states in one Region had
interesting comments. One state expressed a need for the more timely provision  of the
grant guidance; another said that the lack of adequate EPA FIFRA and RCRA
guidance has deterred effective response to potentially serious environmental problems.
The state found  that current label directions on wood preservative products were too
vague to prevent continued soil  and water contamination.

EPA FINANCIAL ASSISTANCE

      Four states from four Regions had various comments on EPA's financial
assistance. One  state complained  of delays in receiving grant funds, and another, in a
related vein, expressed concern over the  slow congressional budget process. One state
remarked that its success in obtaining matching funds from the state legislature has
prevented them from receiving federal funds  in the past.
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MISCELLANEOUS

      Three states i   me Region requested that EPA reassess the Section  18 review
process, saying that u is currently too cumbersome and that approval for state
exemptions should be faster.  One state was disappointed with cancellation of EBDC as
potato seed treatment and of aerial applications to potatoes.

      Another said that while the backlog of cases referred to the Region for review
and action has decreased, the Region is far from meeting its goal to take action on
these cases within 60 days of receipt.  This state also suggested that EPA acknowledge
how the state contributes more than what is reflected  in the present reporting system,
and that EPA should work with AAPCO to develop such a reporting system for "State
only" activity.

      One State Program Director was frustrated with 55 gallon minimum for bulk
containers as well as with 2,4-D pad requirements.
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XIV. RECOMMENDATIONS

      Forty-four of the reviews included Regional recommendations on how the state
or tribe could improve its performance.  In three Regions, brief, bullet-like
recommendations were given, while recommendations from the other Regions tended to
be lengthier and more numerous.

      Recommendations for each state and tribal program were grouped into different
categories according to the type of subject addressed. The categories included
recommendations for:   A) procedural changes; B) updating grants-related documents;
C) improved performance; D) training; E) analytical; F) legislative or regulatory
changes; G) tracking/data systems; H) improved coordination within the state/tribe; and
I) increased coordination with EPA; and J) personnel changes.  A few
recommendations fit into more than one category. The numbers within the parentheses
next to the titles indicate how many states or tribes received recommendations in that
area based on the forty-four FY 89 end-of-year reviews  received by HQ.  It was
interesting to note that many of the problems identified in previous sections of the
evaluation were not followed by specific recommendations to the state or tribe in the
recommendations section of the report.

      A.  PROCEDURAL CHANGES (25 states and  tribes)

      Recommendations for procedural changes in a state/tribal program ranged from
the development of a new inspectional form to suggested changes in a tracking system.
Virtually all the suggested changes pointed to weaknesses or potential problems with
the system  itself, not with the quality of actions performed under that system.
Recommendations for procedural change have been grouped for the purposes of this
report into categories addressing similar problems:    1) documentation, 2) reporting;
3) tracking; 4) enforcement;  and 5) inspections.

             1. Documentation  (6 recommendations)

             Six reviews, three of which are from one Region, recommended changes
      in the SLA's procedures for documenting violations.  Four of them emphasized
      the importance of collecting labels as part of a complete investigation.  The two
      other recommendations concerned better documentation of the receipt of
      samples to show proper chain of custody and, in  another state, to show if
      samples were obtained from pesticides and devices that were packaged, labeled
      and released for shipment.
             2. Tracking (6)

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      Six SLAs were recommended to change their data bases or their
procedures for tracking.  One state was advised to develop a mechanism to
record enforcement actions taken on inspections and investigations conducted in
earlier quarters. Another state's files should denote if violations are federal  or
state.  It was recommended that one tribal group carefully track inspectional
activities for each of its member tribes and renegotiate if these tribes could not
meet projections.

      3. Reporting (6)

      Six SLAs in four Regions were asked to change their reporting
procedures. It was strongly recommended to one state to report all inspectional
outputs, not just enough to neet projected grant outputs; the Region argued
that this practice does give not an overall view of the state's progress compared
to other states.  It was recommended to another state to re-examine with EPA
the state practice of including both state and federally funded inspections in
reporting agricultural use inspections. Another was advised to properly report
follow-up inspections and to speed up submissions of inspection reports to EPA;
another to consider adopting uniform inspectional procedures and reporting
formats; a  fifth to submit quarterly reports on the  5700-33H form; and a six
state's lab was asked to provide a more detailed annual  quality assurance report.

      4. Enforcement actions (5)

      Five SLAs in four different Regions were asked to change minor aspects
of their enforcement  procedures. One state was advised to report violations at
the site of the inspections;  another to review its protocol of assessing penalties
and to better  document procedures for following the penalty matrix; a third state
was advised to institute a penalty worksheet documenting and providing a
rational for the proceedings;  another SLA was asked to  send all enforcement
correspondence by mail; and the fifth state v-  s advised to begin an aggressive
enforcement program to track violations and take enforcement actions on
multiple violators.
       5. Inspectional Procedures (5)

       It was recommended to four states (two from one Region) that they
adjust  various aspects of their inspectional procedures, including the following:
to have all investigation reports reviewed by the field supervisors prior to being
finalized; to review more closely inspection reports to ensure consistency in
documentation and to reference all documentary samples taken in narrative

                                  30

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      reports; to consider discontinuing the use of the Miranda Warning in affidavit
      forms; and to make general improvements in their inspection procedures.  One
      tribe was recommended to  include brief narratives in their inspection reports.

      B. GRANTS-RELATED DOCUMENTS (12)

      It was recommended to seven SLAs that they amend or finalize their
Enforcement Response Policies or their penalty matrices; four SLAs (all of them in
one Region) were asked to revise  Quality Assurance Plans; and only one state was
asked to develop a new priority-setting plan.

      C. IMPROVED PERFORMANCE (10)

      Specific recommendations to improve an SLA's performance in a particular area
numbered ten.  Four SLAs were specifically advised to improve the quality of
documentation of violations. One state was advised to speed up the time it takes to
initiate an enforcement action.  Two states were asked to review inspection reports
more carefully.  One SLA was advised to  improve the files; and one to communicate
better on product violations.

      D. TRAINING (10)

      There were ten recommendations for training in the reviews. Seven addressed
increased training for inspectors (three of them for tribes in one Region).  It was
recommended to one state to educate the relevant staff in the proper handling of
pesticides; and for another to seek additional training for chemists.

      E. ANALYTICAL (9)

      Nine recommendations touched on issues relating to state labs. Two labs were
asked to speed up the time it takes to conduct sample analysis.  Another lab's
performance was seriously below acceptable standards. Six labs were advised to review
procedures, with the states in one Region being specifically advised to revise or update
their QA plans.

      F. LEGISLATIVE OR REGULATORY CHANGES  (8)

      Eight reviews contained recommendations to initiate, or complete some kind of
change in  pesticide legislation or recommendations.  These recommendations for states
included the following:  to establish Administrative Civil Penalties; to vigorously pursue
amendments to state statutes to include civil penalties; to provide an update to  EPA
on the status of submission of civil penalty package to the Governor; to simply
establish civil penalty authority; to amend their state's authority to issue minor

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enforcement actions and to revise the state plan in accord with 40 CFR changes; to
draft amendments (unspecified) to their pesticide law; and to continue efforts to pass
rules and regulations on recertification of private applicators.

      G. TRACKING AND DATA COLLECTION (8)

      Eight reviews contained recommendations  on how to  improve the quality and
reliability of tracking systems or data collection.

      H. IMPROVED COORDINATION WITHIN THE STATE (7)

      Seven reviews recommended that the SLA improve coordination with other state
agencies or within the SLA itself. Four states in one Region were advised to improve
in this area: to improve communications  between different program and project staff
members; to accelerate planning of their role in the state if they plan to apply for
groundwater monies; strive to develop a working relationship with the state's
agricultural extension service;  and to consider realignment of one of its bureaus to
assure expeditious resolution of cases. In other  Regions, it was recommended to one
state to continue to participate on the different task forces and work with other state
agencies involved in groundwater protection.  Another state  was asked to continue to
coordinate and finalized its interaction with other agencies to avoid duplication of
effort.

      I. INCREASED COORDINATION WITH EPA (7)

      EPA recommended to  seven states that they increase their
coordination/communication with Regional offices on various aspects of the state's
program, including the following:  Regiona  nvolvement in reviewing sample jackets
and conducting joint inspections; 2) EPA  assistance in the development of training
material and training programs to assist the field inspectors; 3) establishment of a
single set of criteria for conducting State and EPA inspections; 4) continuing to work
with EPA to targeting producer inspections; 5) continuing to work with EPA on the
new initiatives; 6) in the case of one  state lab, the need to continue to interact with
EPA and NEIC to resolve problems of documentation;  and  7) defining detailed
program responsibilities.

      J. PERSONNEL CHANGES (6)

      Five states and one tribe were given recommendations to either hire new
personnel or reorganize the staff. Two reviews stressed the importance of maintaining
an adequate number of inspectors. Two states needed additional help with case
support activities; one review  recommended that a  case review officer be hired, while
the second  suggested that  a field inspector be used part-time to review cases.  Another

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review suggested that the state consider filling an administrative vacancy or create new
manager positions so as to improve the overall efficiency of the enforcement program.
An Indian tribe was  recommended to put in a budget request for secretarial help.
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 f \ioVe '-
ATTACHMENT  -  DATA FOR FY  89 PESTICIDE END -OF -YEAR REPORTS

                        TftPIiE ?f. CONTENTS


                                                            page

DATA FOR FY 89 END-OF-YEAR REPORTS  ...................... .....  1

MANAGEMENT OF PROGRAM ........................................  1

          Identify any Significant  Problems or Developments
          Involving Coordination of the State Agencies
          Involved in Enforcement,  Certification, etc ........  1

          How have the Problems Raised in the Most Recent
          R view been Addressed ..............................  3

          Identify any Specific Cross- jurisdictional
          Developments or Problems  ...........................  b

          Include a Description of  any Formal Agreements such
          as Memorandums  of Understanding ....................  7

          List the Enforcement Priorities in Order of
          Precedence for  Each State ..........................
          Did the Regional Reviewer Indicate that any of the
          State's Priorities were not Adressed by the State  .  12

          Did the State Indicate that its Proirities were Seriously
          Effected by Seasonal  Fluctuations, Emergencies, Changes
          in Personnel  or Other Extenuating Circumstances ...  13

INSPECTIONS .................................................  l
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DATA FOR FY 89 PESTICIDE END-OF-YEAR REPORTS

     The information for this worksheet is to be gathered  from the
Regions' FY 89 End-of-Year Reviews of State pesticide enforcement
programs.

Region:   1, 2, 3, 4, 5, 6, 7, 8, 9, 10
Reviews:  ME, NH, VT, MA, RI, VI, PR, NY, NJ, MD, VA, DC, PA, WV,
DE, KY, AL, NCSPCD  (Structural  Pest Control Division), NCDA, MS,
TN, GA, FLDA  (Dept.  of  Agriculture and Consumer Services), FDHRS
(Dept. of Health and Rehabilitative Services),  SC, MN, IN, MI, OH,
WI, LA, NM, AR, TX,  OK,  IA,  KS,  UT,  ND,  SD, CO,  Pine Ridge (PR),
Rosebud (RB), Cheyenne River (CR),  MO,  AZ (S&P), AZ  (A&H), CA, HI,
ITCA (Colorado River, Fort Mohave, Gila River, Quechan, Cocopah and
Salt River Tribes), Navajo, NV, WA, AK, OR, ID

MANAGEMENT OF PROGRAM

     1.    Identify  any  significant  problems  or  developments
involving  coordination   of  the  State   agencies   involved  in
enforcement, certification, etc.
ME:  Good coordination with the Cooperative Extension service in
     regards to program planning and development.
RI:  The  Pesticide  Relief   Advisory   Board  appointed  by  the
     legislature  meets  with  the Director  of  the DEM  and makes
     recommendations regarding pesticide legislation and regs."
NY:  Coordination  being   developed  between  BPN   and  Cornell
     Cooperative Extension Service.
KY:  Good  relationship with the  University  of KY and  County
     Extension  Agents.   Cooperative effort  with  University  of
     Kentucky and county extension agents to update certification
     tests and materials
     Cooperation between KDA and State Health Dept., which contacts
     KDA when pesticide related instances arise.
     May be necessary to develop MOUs with neighboring states for
     inter-state violation procedures.
AL:  Beginning to coordinate groundwater pesticide  program with
     other state agencies.
     "It appears  ADAI  has developed a good working relationship
     with the  state certification  and  training  programs.   The
     program staff  assists in  certification activities  such  as
     updating and developing  training  materials.   The Department
     is also beginning  to coordinate  the  groundwater protection
     program with other state local agencies."
NCSPCD:   NCDA maintains close cooperation and collaboration with
     Extension service updating training and testing materials.
NCDA:      Close cooperation and  collaboration with the Cooperative
     Extension Service  of  the University of  North  Carolina have
     aided  in  updating  training   and   testing  materials  for
     certification and recertification of applicators.
MS:  Reviewer  reports  cooperative  effort  between  SLA  and  the
     Extension Service has begun to develop.

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TN:  Healthy   lati -ship between State Health  Department and TDA.
GA:  No proba    —   -od coordination with Extension.
KS   The  app_   ant   w  has  authority to  restrict  the  use  of
     Pesticide  in    -tain  areas of the state.   (should benefit
     endangered spec  is program)
ND:  MOU between NDDA and Extension Service maintained;     NDDA
     and DOH work cooperatively on disposal.  NPPA informs DOH of
     container wastes observed.
SD:   SDDA  contracts  certification  training  to  the Cooperative
     Extension  Service;  South  Dakota  State University provides
     analytical support  to  state under contract with  Dept.  of
     Health;
     responsibility for pesticide accidents and emergency response
     is shared among 11 possible agencies.  An agreement exists for
     one  of four  cjencies,  including SDDA,  to  take the  lead
     depending on the type of incident.
CO:  program managers worked  in  cooperation  with  agricultural
     producers...    Cooperative Extension Specialists,  pesticide
     applicators  and  industry  representatives,  in an  effort  to
     evaluate and resolve misapplication of sulfonyl urea .
CR:  "Occasional joint inspections are conducted on Reservation
     with state inspector... using Tribal authority."
MT:  "The montana  State  University Cooperative Extension Service
     trains  and determines  the  qualification  of  farm (private)
     pesticide  applicators;  the   Department  of   Health   and
     Environmental  Sciences has been  designated to set  water
     quality standards for  the new agrichemicals in  ground water
     program."
AZ  (S&P): AZ (S&P) along with the State Pest.  Coordinator  have
          revised the (certification) test to make machine grade
AZ  (A&H): Coordinated  efforts  of  AZ  ground  water  legislation
          requires coordination between the Office of State
          Chemist and Dept. of Env. Quality.
CA:       Pr ject Officer meets  bi-monthly with  CDFA liaison for
          training and oversight inspections
HI:       Not a MOU but the dept. of ag assisted the dept.  of
          health in disposal program for household and farm haz.
          waste.
ITCA:     Functions as a coordinator among  several tribes.  Each
          tribe negotiates  with ITCA on the No.# of inspections
          they will conduct.
Navajo:   Pest Reg. program and the Drinking  Water  Program  will
          continue  to exchange  info on  livestock dipping vats,
          Drinking water well, and vulnerable ground water areas.
NV:       Coordination between Coop. Ext. Service and Dept. of Ag.
          on info especially regarding violation rates and other
          data.
MD:  Region/State  interaction  has  been  good,   there  were  no
     complaints
VA:  There are currently no problems in the current Federal/State
     relationship.

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     2.  How have the problems raised in the most recent review
been addressed by the  state?  Compare recommendations in FY 89 End-
of-Year Reports to those in FY  89  to see if there are continuing
problems that have not been adequately addressed by the state.

VI   Region waiting for draft  report on the  ERP that was past due.
     17% below  no.#  of projected inspections.   Samples  were 70%
     below  that  projected.    .Inspector  position still  vacant.
     Problem obtaining petty  cash  for sample purchases.   Lack of
     safety equipment previously bought.
PR   Turnover of inspectors is a persistent problem.
NJ:  Repeated recommendations:  Producer establishment inspections
     need improvement; narratives  were  too  short-  brief and not
     well documented;  Section  18 and 24(c) inspections not meeting
     projections.
MN:  Review indicates that all 8 recommendations  from FY 88 review
     have been acted  upon, but  there is a similar recommendation
     in 88 and in 89 to use 5700-33H form; lab still  lacks list of
     formulated products for which analytical methods don't exist
MI:  ERP still needs to be amended, as recommended in 88 review
Wl:  WI still recommended to improve quality of reports, as in 88;
     M... many of the  significant issues  that were outlined in the
     FY 88 Year-End Evaluation of the FIFRA Cooperative Agreements
     have been addressed by WDATCP during FY 89."
IL:  Repeated recommendation  in 89  to  work closely with  EPA in
     targeting producer inspections; repeated recommendation that
     labs should ensure up-to-date QA plans
KS:  Program has improved considerably and should receive reduced
     review.  Some areas improved over the raid year review.  Extra
     effort  by  program  management  and staff   could  prove  an
     excellent  inspection  program.    Additional  attention  to
     statements and narratives.   Too much time to prepare reports.
     Too much  time to complete enforcement actions.   Certified
     applicator record inspections need to be more fully completed.
MD:  Continuing problems for  Maryland in FY 87,  FY 88,  and FY 89
     appear to be  in  reference  to  the turn-around-time on sample
     analysis and the subsequent backlog.
VA:  Long,  consistent,  turn-around-time  for residue/formulation
     sample analysis  in FY 87, FY 88, and FY 89.
NH:   "Revision  of commercial  examinations, for  aquatic insect
     control applicators  at  operational  and supervisory levels,
     originally targeted for FY 89, was completed in October."
NY:  Confusion of how  Ag use inspections should be conducted (issue
     resolved)
LA:  (1)  Quarterly laboratory  reports  are  being  provided  and
     coordinated with EPA in a timely fashion.
      (2) ISSUE: LDAF has not  finalized their Enforcement Response
     Policy  as promised.   Repeatedly,  EPA has  emphasized  the
     importance  of this  matter and during the FY  89  Mid-Year
     Assessment it was requested to be received by October 31, 1989
     but to no avail.
      (3) ISSUE:  The  State still needs  to  rewrite their updated

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     State  Plan  for  Certification  of  Pesticide Applicators  to
     include categories for consultants and  salespersons as well
     as to include the new Federal regulation changes.
      (4) The overall inspection and sampling accomplishments far
     exceeded the FY 89 grant projections and  the only shortage was
     three Marketplace samples.
NM:   (1) ISSUE: The  Director/Secretary of NMDA has  assured EPA
     during the FY 89 final assessment that NMDA will try to obtain
     civil  penalty  authority during  the  next 1990  legislative
     session.
      (2)  Efforts  to  obtain  a  qualified  and  available  legal
     expertise as soon as  possible has been a problem.  The reason
     is  that  the State statute says  a  State Agency  cannot hire
     their  own attorney but they roust  come  out of  the  Attorney
     General Office.   The  Director plans to hire an assistant who
     is  also  an  attorney,  so NMDA should have a  qualified legal
     assistant on their staff soon.
      (3) The SLA feels that some inspections  are strictly State
     inspections and do not warrant a Notice of Inspection, however
     a new  form  has  been  devised and will  be issued now  on all
     inspections.  It was pointed out that an  NOI  is required by
     Federal law and would enhance State cases referred to EPA.

AR:   (1) ISSUE:  The recommendation  that the State should contain
     a copy of a label in  a follow-up investigation  report has
     apparently not yet been adhered to.
      (2) The  State  needs to follow  through that the  complaint
     form, developed to facilitate gathering information concerning
     citizen  complaints  of  suspected misuse  of pesticides,  is
     approved by the Board
      (3)  ISSUE:  The State  was to review  the existing Penalty
     Assessment  Guidelines  with   regard  to   the  Agricultural
     use/follow-up  investigations,   PEI's,   and  Dealer  Records
     Inspections and ensure that current enforcement decisions are
     made in the  context of the guidelines or modify these policies
     as necessary.   This review has  not yet been accomplished.
TX:   (1)   Efforts   to   revise  the   State   Plan  to   provide
     recertification of private applicators are underway.
      (2) The SPCB has increased inspectional and legal resources
     to  address  administrate    penalties and other  legalities
     involved in pesticide enforcement.
      (3) Pesticide Grant  commitments have been met.
OK:   (1)  Each of the  recommendations  made during  FY  88  E-O-Y
     Report have been addressed.
      (2) Agency has completed the number of PEI's projected.
IA:  Sample results have longer delays  at the  time of the end of
     year,  than  at the mid year review.    Percentage  of  cases
     reviewed during the end of year review  were 17% more delays
     in responding along the time-lines spell out in the ERP
UT:  QA/QC manual was not  drafted  by end of fiscal year as set out
     in mid-year review; did not  improve tracking  and filing and
     documentation of violations

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ND:  Most recommendations followed up on.  Repeated recommendation
     in 89 to  improve accessibility to  registration files and to
     implement accurate  protocol  acceptable to  state accounting
     department.   More work needed on quality of writing reports,
     quality of written  notification to violators,  accessibility
     of product labels,  participation of program director in the
     state ground water protection effort; NDDA did not follow up
     on specific cases mentioned in previous review.
SD:  Three out of  four  recommendations  were met.   "SDDA did not
     observe the  recommendation  to  involve Extension  in  FY 90
     workplan development process."
CO:  No recommendations  made  in previous review, but 88 end-of-
     year review recommendations were addressed.
RB:  Well.
CR:  Fair.  Documentation of violations improved; the problems of
     legal representation and secretarial help was not solved.
MT:  Well.
AZ (A&H): A portion of grant monies were recommended to be
          shifted toward funding state labs.  This was done by
          increasing the award.
AZ (S&P): The establishment of a liaison to work with EPA will be
          developed in the upcoming year
HI:       Case development officer will direct inspection efforts
          to those categories  that are below projections to ensure
          projections are being met.
NV:       State  has  implemented  recommendations   from  previous
          evaluations.
WA:  (1) WSDA has agreed to continue work on  the dealer/distributor
     neutral inspection scheme.
     (2) Development  of  a standard operating procedure  to cover
     program policies and procedures was discontinued in FY 89 due
     to increased workload of higher priority.   Both NIS and SOPs
     are scheduled for development during the FY 1990 grant year.
     (3) Issue: Timely completion of investigation reports continue
     to be a problem.  The department's reorganization has created
     a shortage of trained investigators.  It is anticipated that
     a backlog of cases will result until wsda can fill vacancies
     and train new investigators.
AK:  ADEC  has  made  arrangements  with  the   Washington  State
     Agricultural  Lab  to  run  Alaska's  pesticide  enforcement
     samples.   In  the   past  the  integrity of  Alaska  pesticide
     samples collected  and  analyzed  has been questioned by EPA.
     This action resolves this concern.
OR:  The State has addressed the following recommendations made
     during the previous Review:
     (1) Timeliness of laboratory analysis  has  been addressed by
     the funding of an additional chemist for FY 91, transferring
     10 - 15 samples to NEIC for analysis, and new residue analysis
     equipment likely will facilitate residue sample analysis.
     (2) Import inspection  coordination has been discussed among
     the State and Region.
     (3) A  public participation  program has been  developed and

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     incorporated into the 1990 Cooperative Agreement.
     (4) Region  10 is  and will be  placing greater  emphasis on
     working with the Department to support  their program and less
     on traditional oversight activities.
ID:  State has upgraded the strength of evidentiary documentation
     in inspection reports.
     ISDA was very cooperative on Section 27  cases referrals during
     FY 89.  The  Bureau did a thorough job of notifying EPA Region
     X about potential significant  cases  for possible referral and
     also consulting with the Region before commencing enforcement
     action on these cases.
     Improved communication between  ISDA and Region  X regarding
     unregistered or misbranded products found in the marketplace
     or in applicator's stocks.

     3.  Identify any specific cross-jurisdictional developments
or problems (between states and tribes, state agencies, states and
states, states and feds, etc.)

VT   Dept.  of Ag inspectors are also  trained  to  collect  water
     samples as part of the Department's Well Monitoring program.

RI:  The DEM mee  s with Rhode Island State Extension service on a
     biweekly basis,  as  well   as  with  the Hazardous  Materials
     Division of  DEM  (for  development of air and  disposal regs),
     the Groundwater  Protection Division  of DEM  and the  Water
     Resources Division of the Rhode Island Dept. of Public Health.
     Program Coordination with  US Dept.  of Defense permitting DOD
     personnel  to  monitor  the  applications  the  property  in
     accordance with this agreement.
NY   Not all regions are processing cases uniformly
TN:  "During  routine   inspections,  FDA  or  TDA  may   receive
     information  which  indicates the other  agency  should Become
     involved.   It  is  very  important  in order for  enforcement
     activities to proceed in the most productive manner, that the
     two agencies cooperated by informing each other as  soon as
     possible  to  facilitate   the   coordination   of   inspection
     schec .les.   It may  be necessary to develop a MOU between the
     two agencies as exists between EPA and FDA."
     "TDA  had   a  special  project  to  examine   Certification
     Reciprocity in Region IV and explore the possible development
     of a  plan to  combine exam information  from  all Region IV
     states into a common pool  of questions.  Thee   could then be
     used by all states independently, resulting in a certification
     process that would then  be satisfactory allowing applicators
     to operate freely between  states."
SC:  "All potential cross-jurisdictional situations in  SC have been
     avoided  through  the  development  and  maintenance of  close
     working relationships with several  state agencies..."
TX:  A recent opinion involved an issue between the Structural Pest
     Control Board and the Texas Department  of Agricultural on who
     had   the  authority  to   license,   certify,   and   regulate

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     applicators of  tennaticides  who do not work  for commercial
     pest control businesses but  who wish to apply for a Federal
     restricted  use  or  a  State  restricted  pesticide  in  non-
     agricultural settings.
ND:  Reviewer recommends cooperation with Ft.  Berthold to ensure
     consistent program within state boundaries.
Navajo:   Reorganization of the Tribal  agencies, the Division of
          Resources and the Division of Water Resources were
          merged into the Division of Natural Resources with a
          mandate to manage Navajo resources to the maximum benefit
          of the Navajo Nation.
WA:  Good working relationship exists between the various parties.
     However, a move  toward formal  written  agreements appears to
     be  advocated  instead of  the traditional  verbal agreements
     between the State and the Indian tribes.
AK:  Not addressed in the report.
OR:  The  Oregon   Legislature  has  established   the  Pesticide
     Analytical and  Response  Center  (PARC) as a  mechanism for
     coordinating investigation of pesticide complaints involving
     human health  or environmental  effects among  various  State
     agencies.  The Department  is a member of PARC and Departmental
     inspectors conduct investigations as requested by the Director
     of PARC.

     4.   Include  a description of any  formal  agreements such as
Memorandums of Understanding.

KY:  Reciprocal agreement in place between Kentucky  and Indiana as
     well as Tennessee regarding certification.
LA:  LDAF coordinates with  other  States and Federal agencies in
     carrying  out their  commitments  to maintain  an  effective
     enforcement and certification and training program.  Plans are
     underway in  the State's  new Food  Safety  Plan  and  LDAF is
     working with various agencies such as FDA, LDH, and possibly
     USDA to mesh  together the MOUs needed.   On  the groundwater
     plan, LDAF is working with LDEQ and the  U.S. Geological Survey
     on  a Statewide advisory committee and   each  agency  will
     contribute to the overall Plan.   Necessary MOUs are also in
     the works.
NH:  The Agency is considering doing an MOU  with the State Highway
     Department regarding licensing.  There are HOUs with several
     agencies (such as USDA's Animal Damage Control  and U.S. Forest
     Service) regarding training testing and licensing).  NMDA also
     has  a  cooperative  agreement with the Navajo Agricultural
     Products Industries.
TX:  One recent MOU developed was between the Texas Department of
     Agricultural  (TDA)  and the Texas  Department  of Corrections
     (TDC).   TDC agreed to  conduct inspections as deemed necessary
     to  determine   whether   Federal/State  pesticide  laws  and
     standards are currently being met  in the state's Prisons.
     It is anticipated that sometime in 1990, there will be efforts
     to  establish a  MOU  with the  Texas Hater Commission   (TWC)

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     relating to ground water.
ND:  see #1
SD:  see #1
WA:  Currently a  verbal agreement exists  with the WSDA  and the
     Yakima Indian Tribal Council which allows  the WSDA to come on
     to the reservation land and enforce state law.  A formal MOU
     between the two parties is  anticipated for FY 91.  It is also
     anticipated that a formal MOU will exist between WSDA and the
     USDA Extension Service with regards to pesticide training.
     WSDA currently has MOUs1  with the State Department of Ecology
     and  Department  of  Health  to  develop  and  implement  an
     agricultural chemical in ground water management plan and with
     the Washington  Department  of Labor  and  Industries  for the
     purpose of defining roles and responsibilities of each party
     for the protection of workers from pesticide exposure.
OR:  The Department is entering into a MOU with the Oregon Health
     Division  and  the  Oregon   Occupational   Safety  and  Health
     Division regarding investigation of cases involving pesticides
     and referral  of those cases to the  appropriate  agency when
     violations are suspected.

     5.  List the  enforcement priorities  provided in the end-of-
year reviews in order  of precedence,  if possible,  for each state
and tribe.
VT:  "Previous  priority  areas  included  off   target   drift,
     groundwater contamination,  disposal of obsolete pesticides and
     triple rinsing of  containers and disposal of rinsates... Based
     on recent findings of a number of use  violations by PCO's, the
     state is directing more of an enforcement effort in the area."
KY:  Priorities  not   ranked:   Monitor  canceled  and  suspended
     pesticides  in pesticide use areas,   strengthen  enforcement
     activities regarding  the investigation of alleged pesticide
     misuse  and  continued routine monitoring  efforts,  right-of-
     way   incidents,   PEI   inspections,    updating   educational
     materials, draining needs,  C&T updates.
AL:  Priorities  not ranked:    Monitor cancelled and  suspended
     pesticides and strengthened enforcement activities regarding
     misuse   of   pesticides  by  pest   control   operators  and
     ground/aerial   applicators;  groundwater   contamination  by
     pesticides; disposal of pesticide containers and rinseat.
NCSPCD:   1)  help ensure  compliance with major  pesticide reg.
          actions in pesticide use areas; 2) maintain current level
          of  compliance monitoring  with  respect  to  applicators
          engaged  in structural  pest  control  industry;  protect
          domestic animals, ensure public health.
KCDA:     1) help ensure compliance with maj r pesticide regulatory
          actions; and 2) plan for implementation and enforcement
          of the revised Worker Protection Standards for pesticides
          and  associated  labeling   requirements;  assure  public
          health,  protect domestic  animals,  and  prevent and/or
          eliminate  the  indiscriminate  and  unlimited  use  of
          pesticides that may pose a  serious adverse environmental

                                8

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          effect.
TN:  "The department monitored  canceled  and suspended pesticides
     in pesticide use areas under its purview.  They strengthened
     enforcement activities regarding the investigation of alleged
     pesticide misuse and continued routine monitoring efforts.
GA:  1)   Cancellations/suspensions;   2)   Planning   for   worker
     protection enforcement; 3)  Misuse in and around home; 4) Drift
     complaints; 5) Sale of RUPs to uncertified applicators.
FL:  Ag-use followups and no-ag-use followups; other priorities not
     identified in review.
FLDHRS:   Cancelled/suspended pesticides.
SC:  1) Education to prevent violations involving illegal sale or
     use of canceled, suspended and/or restricted pesticides, and
     stop  sale  use  or  removal  orders  issued  under  Section
     3(c)(2)(B).,  and  compliance with  the provisions  of  FIFRA,
     SCPCA, and the SC  chemigation law; 2) Improper or unnecessary
     use  by  PCOs;  3)  education and enforcement  against  misuse
     resulting  in  groundwater contamination;   4)   involuntary
     exposure  to  homeowners  to  termaticides;  5)   appropriate
     responses to  non-priority complaints;  6)  drift  and  worker
     exposure.
MN:  From FY 89 application:  1) Improper handling and storage, 2)
     groundwater monitoring for pesticides,  3) pesticide drift and
     over-spray  concerns,   4)  pesticide container disposal,  5)
     purchase  of restricted-use  pesticides  by,  or  for use  by
     individuals  not  properly  certified;  6)   structural  pest
     control,  commercial  turf  care,  and aerial  applicators;  7)
     cancellation compliance inspection.
IN:  1) Planned use investigations of lawn pest control industry;
     2) below  standard application techniques by structural pest
     control  industry;  3)   planned   use investigations  of  the
     structural pest control industry to ensure compliance with the
     requirement to register technicians;  4)  misuse  that  could
     result  in the exposure  of ground  water to  pesticides;  5)
     disposal  of pesticides and pesticide  containers;  6)  runoff
     from pesticide storage and loading facilities; 7) marketplace
     inspections for  the purpose of regulating  ultrasonic pest
     control  devices,   electrocution  devices,   water  treatment
     devices  and  swimming  pool  products;  8}  improper  sale,
     distribution,   and use  of recently  restricted,  suspended or
     cancelled  pesticides;   9)  bulk handling  and  distribution
     facilities; and 10)  drift and overspray
HI:  1)  Compliance monitoring of  nationally  suspended  and/or
     cancelled pesticide registrations;  2)  unauthorized sales of
     RUPs by dealer establishments;  3) drift; 4)  misuse that may
     result in point source or non-point source pollution of ground
     and  surface  water;   5)  worker protection;  6)  compliance
     monitoring  of  major  spray  programs;  7)  surveillance  of
     pesticide  use  at   nursing  homes,   schools,    city   park
     departments, and county road commissions; 8) misuse in urban
     areas; 9) disposal of pesticides and containers.
OH:  1) Misuse by structural pest control operators;  2) drift; 3)

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     disposal of containers; 4) storage and transportation of bulk
     pesticides;  5)   3UP   dealer  inspections;   6)   suspended,
     cancelled,  nonregistered  or  recently  restricted  pesticide
     products; 7) ODA's Gypsy Moth Quarantine and Control Program;
     and  8)   Surveillance  of  structural  PCOs  to  ensure  that
     chlordane is not being used.
LA:  The  significant  priorities  in  the  pesticide  use/misuse
     activities were ranked as follows:  (a)  aerial application at
     agricultural  sites;   (b)   surveillance  of   pest  control
     operators:  and  (c)   agricultural  incidents  not  involving
     applications of pesticides.  The state's highest priorities in
     non-use  related activities were  as follows:    (a)  regular
     market place monitoring; and b) regular  conduct of training
     programs and public participation in regulatory programs.
     The National enforcement priorities,  as outlined in the FY 89
     Grant  Guidance,  have  been  incorporated  in  the  state's
     workprogram.

NM:  The  significant  priorities  in  the  pesticide  use/misuse
     activities were ranked as follows:
     (a) Damage caused by pesticides moving off target;
     (b)  Misuse  by  pest  control  operators  during  structural
     applications at residential sites;
     (c) Incidents involving other urban applications;
     (d) Improper storage,  transportation, and disposal; and
     (e) Involuntary exposure of homeowners,  agricultural workers
     or applicators to pesticides.
     ?he State's highest priorities  in non-use related groups were
     as follows:
     (a) Producer establishments;
     (b) marketplace establishments;
     (c)  monitoring  the  certification  program  in  Applicator
     License/Records   Inspections   and   Dealer   Restricted  Use
     Pesticide Records Inspections; and
     (d) Commercial Applicator Liability Insurance Requirements.

TX:  The significant priorities  identified in the non-use priority
     setting plan are as follows:
     (a)  prior violators;
     (b)  those not inspected the previous year;
     (c)  dealers who did not relicense; and
     (d)  volume of sales.
     In pesticide use,  the priorities are still in the agricultural
     area.  The pesticide priority plans are updated annually.

OK:  Significant  priorities  identified  in  the State's priority
     setting plan are as follows:
     (a)  Nonagricultural  applicators  (structural  pest control-
          termaticides)  and  agricultural  applicators  (aerial-
          phenoxy herbicides).
UT:  1) Home misuse of 2,4-D; 2) Disposal of Pesticide Hastes and
     Containers  3)   groundwater  protection  4)  major  regulatory

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     actions 5) drift 6) develop Endangered Species Program
NO:  Disposal of Pesticide Wastes  and Containers in coordination
     with RCRA; groundwater protection; uniform implementation of
     State Pesticide Act;
SD:  Misuse  by PCOs  in homes;  Bulk  handling  and  distribution
     facilities; storage of Pesticides and containers; disposal of
     Pesticide waste and containers;  drift;  proper licencing and
     recordkeeping;
CO:  develop enforcement  program  for storage of  pesticides and
     containers;  upgrading  of  laboratory  facilities;  maintain
     comprehensive administrative evaluation program; review pest.
     applicators Act in accordance with 1990 Sunset provision and
     regulatory review; drift caused by commercial applicators
PR:  priorities set by Region by negotiation with tribe
RB:  priorities set by Region by negotiation with tribe
CR:  priorities set by Region by negotiation with tribe
AZ (S&P): pretreatment facilities
          Bad public opinion
          Changes in Administrative procedures
NV:       High no.# of violative products being held or sold
Navajo:   Livestock dipping locations
WA:  The following are WSDA's enforcement priorities:
     (1) agricultural aerial insecticide drift/misuse;
     (2) agricultural aerial phenoxy herbicides drift/misuse;
     (3) groundwater contamination;
     (4) agricultural ground phenoxy herbicide drift/misuse;
     (5) PCO misuse cases (including both structural and other in-
     structure pest control);
     (6) agricultural ground insecticide drift/misuse;
     (7) ornamental/residential pesticide drift/misuse;
     (8) aerial/ground forest environment misuse;
     (9) farmworker exposure;
     (10) cancellation compliance inspection;
     (11) aquatic use/misuse;
     (12) product problems (misbranding, etc.)
     (13) storage/transportation/disposal problems;
     (14)  pesticide use  problems  associated  with major spray
     programs;
AK:  The following are Alaska's enforcement priorities:
     (1) Disposal of pesticides and pesticide containers;
     (2) Groundwater contamination;
     (3) Pesticide misuse;
     (4) Endangered Species concerns;
     (5) Suspended and cancelled pesticide products;
     (6) Restricted-use pesticides; and
     (7) Greenhouse inspections.
OR:  The   general   policy  of   the  Department   has   been  the
     investigation of all alleged pesticide misuse situations and
     inappropriate pesticide distribution situations brought to its
     attention.   In  general  terms,   the  Department  has ranked
     investigative activities as follows:
     (1) PARC investigations (human and environmental concerns);

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     (2) Report of Loss investigations;
     (3) Investigation of other specific public concerns;
     (4) Intra-departmental referrals
     (5) EPA Referrals
     (6) Referrals from other State agencies;
     (7) Followup to other investigations;
     (8) Routine investigations as detailed in EPA agreement
     (9) Routine investigations as detailed in the Oregon Revised
     Statutes; and
     (10) Other investigations
ID:  State priorities have been identified as follows:
     (1) Drift;
     (2) Urban Sprayers;
     (3) Disposal;
     (4) Misapplication;
     (5) Suspended/Cancelled Products; and
     (6) Chemigation
VA:  Virginia's enforcement priorities are the following:
     (1) Non-agricultural industry;
     (2) Right-of-way applicator; and
     (3) Lawn care companies
     (4)  Virginia  is  being  asked   to  conduct  more  pesticide
     monitoring programs related to food safety.
DC:  DC's enforcement priorities are the following:
     (1) Use/misuse activities;
     (2) Applicator/Operator license record ins-action; and
     (3) Disposal of pesticides and pes icide c  tainers.
PA:  Pennsylvania's enforcement priorities are tae following:
     (1. Home yard incidents;
     (2) Urban incidents;
     (3) Right-of-way;
     (4) Ag. inciv ants; and
     (5) Woodland
     (6) PA has begun  to check barber and beauty shops for products
     which are not properly labeled.
WV:  West Virginia's enforcement priorities are the  following:
     (1) Non-e ricultural industry;
     (2) Pest Control operators;
     (3) Right-of-way applicators; and
     (4) Lawn care companies.
DE:  Delaware's enforcement priorities are as follows:
     (1) Agricultural drift;
     (2) Lawn care applications;
     (3) Groundwater contamination; and
     (4) Pesticide residues in food.

     6.  Did the Regional reviewer indicate that any of the state's
priorities were not addressed by the state?
RI:  "The goals established  by their  priorities as listed in the
     Cooperative Agreement are being addressed although  limited by
     a  lack of personnel."
TN:  outputs did not always meet projections

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IN:  yes, see # 7
UT:  Yes.  Accomplishments do not reflect program consideration of
     priorities on  misuse of 2,4-D  by homeowners, disposal  and
     drift.
RB:  yes,  the  tribe  did  not  meed  their  projected  number  of
     inspections in most of the inspection categories. This was due
     to the learning curve of the new inspector.
CR:  yes
CA:       Use of "triggers" to initiate action was not clear as to
          how inspections are selected.
          Priorities far exceed request

     7.  Did the State indicate that its priorities were seriously
effected  by  seasonal  fluctuations,  emergencies,   changes  in
personnel or other extenuating circumstances?  If so,  explain.
VI   The Governor of the VI imposed a hiring  freeze which would not
     allow filling the inspector position on St.  Thomas.
PR   Continuous turnover  of inspectors  results in  achievements
     below projections- not resolved.
     Deficient  in  experience   for  case  review  officer  and
     supervisory inspector
PR:   Hurricane Hugo  forced  the  End of  yr.  evaluation  to  be
     conducted  via  telephone,   in  addition  to  delaying  work
     projected for the project.
NCSPCD:   "...the Division was under-staffed by one inspector for
     a period of 5 months during the latter part of FY89."
TN:  "Accomplishments were considerable behind projections at the
     Mid Year  point,  due to the  fact that  at  the end  of first
     quarter  and  the  beginning  of  the  second  quarter,  all
     inspectional activities came  to a virtual  standstill while
     fiscal procedures were studied and amended."
FLDHRS:   State did not receive sufficient number of complaints to
     meet projected non-ag followups.
IN:  disparity between the  projected  and  accomplished numbers of
     inspections due to personnel loss and reorganization.
MI:  personnel changes and increased workload on  existing staff
     made it difficult to achieve all of its projections.
LA:  The Director commented that they have not yet looked at Worker
     Protection yet.   LDAF's  FY  90  Workprogram commits  to the
     development  of program activities  to  address the  revised
     agricultural Worker Protection Standard.
ND:  Small staff and lack of administrative support make it
difficult  for  inspectors  to  provide an  adequate  enforcement
     presence.
PR:  less  number  of agriculture and structural use  inspections
     carried out at beginning of the year due to the large number
     of  compliant inspections carried out.
RB:  time spent training new inspector made it difficult to address
     all priorities.
CR:  "1989 was a drought year  in the Dakotas; consequently, fewer
     pesticide applications were made in 1989 than in normal years.
     Further, the Tribe's  Pesticide Officer resigned in the fourth

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     quarter of FY 89 to accept another Tribal position."
MO:  Loss of personnel effected quality of program.
AZ (S&P): Struggling to survive  after  years  of operating under a
          crisis situation from accusations of mismanagement.
AZ (A&H): Undergoing a 6 month  state audit mandated by legislature
ITCA:     Personnel  turnover  is  the  primary  reason  for  not
          attaining enforcement priorities
AK:  The  Exxon  Valdez   spill  put  a  significant  strain  on
     Washington's pesticide program.  The forward momentum that the
     program tried to maintain was slowed.
MD:  No, but  it  was recommended that the  State should carefully
     review its  priority  setting  process  to  target inspections
     tr ard high harm hazard areas, prx oably non-ag. use.
VA:  Tt  program  staff underwent,  in FY 89-90,  a reorganization
     wh  ,1 has created an  Office  of PEsticide Management under the
     Division of Product & Industry Regulation.  Agricultural and
     aerial applicators are also on the increase.

DC:  No, however, DC has had difficult time keeping staff members,
     particularly inspectors.

INSPECTIONS

     8.  For each type of inspection, list those states/tribes that
did not meet projected outputs, providing the number accomplished
versus the number projected (x/y) and documenting the  reasons given
for not meeting the projections.

	 Producer Establishment Inspections:
ME
VT:  0/2
RI:  1/4
VI 168/300;
PR 4/12
MS:  Completed 21 out of 25 completed.
FLDA:     Completed 231 out of 352 projected
IN: completed 12 out of 15;
MI:  completed 22 out of 30
OH:  completed 183 out of 200 projected
UT:  completed 6 out of 8 projected, since follow-up investigations
     doubled the # projected.
ND:  6 out of 8 projected
AZ (A&H) 2/3
wv:  No reason cited.  11/15
	 Marketplace Inspections:
NCDA:     The discrepancy in the Market Plan occurred as a result
     of  the  States only  targeting these establishments  which
     revealed  EPA suspected  violations;   i.e.,  not done  unless
     violation sv:pected.   19/30
IN:  completed 24C out of 250 p*  ejected
PR:  completed 9 out of 16 proj  ;ted
RB:  completed 10 out of 16 projected

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CR:  completed 2 out of 12 projected
WV:  No reason cited.  33/35
Ft. Mohave:    1/2
salt River:    1/4
	 Agriculture Use:
NH:  completed 5 out of 8
MA:  2/15
RI:  12/30
PR 64/81
NY  21/54
MS:  Completed 45 out of 50 projected
FLDA:     Completed 142 out of 220 projected
KS:  4/60
CR:  completed  1 out of  20  projected; 1989 was  a drought year,
     which meant fewer pesticide inspections; inspector quit in 4th
     quarter.
PR:  completed 15 out of 17 projected.
RB:  completed 14 out of 18 projected
WA:  Not specifically mentioned,  but reorganization did take place
     within the Department in 1989.  7/16
MD: No reason cited.  6/16
WV: No reason cited.  9/10
AK:  1/6
SALT RIVER: 51/77
	 Agriculture Pollow-up:
NH:  completed 12 out of 22
MA:  1/10
RI:  1/4
VI:  0/10;
NY  24/39
WI:  completed 60 out of 80 projected
WV:  9/10
KS:  44/60
	 Non-Ag Use:
MA:  16/40
RI:  45/60
VI:  15/35;
PR:  36/68
TN:  "This was due to the loss of three pest control employees."
OH:  completed 17 out of 30
WI:  completed 11 out of 16 projected
MO:  39 completed  out  of 44 projected.   "This is  a number  that
     cannot be accurately projected since  it is dependent  on the
     number of complaints received."
ND:  5 out of 6 projected
PR:  completed 33 out of 53 projected
CR:  completed 43 out of 47 projected
WA:  Not specifically mentioned,  but reorganization did take place
     within the Department in 1989.  6/8
DC:  Lack of adequate staff.   46/50
Colorado River:      3/13, due to high number of ag-use inspections.
Gila River:    4/16

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Quechan:  1/8
Salt River:  1/8
	 Non-Ag 0s* Follow-up:
ME:  completed 10 out of 12
MA:  35/65
VI  0/20
NCSPCD:   completed  65  out of  72  projected.   "Non-Ag Follow-up
     inspections  are   dependent   upon  consumer  complaints,  a
     situation over which the Division has no control.   In addition
     it should be pointed out that the Division was under-staffed
     by one  inspector for  a period of  5 months during the latter
     part of FY 89."
MS:  Completed 22 ov+ of 25 projected.
FLDHRS:   36 out of   » projected, due to low number of complaints
SC: 15 out of 16 pr._ected
IN:  completed 52 out of 65 projected
KS:  43/60
MT:  13 out of 15 projected.  "The number of followup inspections
     is difficult to project."
DC:  13/17

	 Experimental Use:
ME:  0/2
NH:  0/2
VT:  1/4
RI:  0/2
PR  0/2;
NY  5/6
FLDA:     completed 17 out of 28 projected
SC:  completed 3 out of 8 projected
IN:  completed 0 out of 5 projected
KM:  The State had projected four inspections but did not have an
     occasion to perform any during FY 89.  0/4
UT:  1 out of 3 projected.   No reason given for shortfall in
review.
AZ (A&H) 2/4
WA:  Not specifically mentioned, but reorganization did take place
     within the Department in 1989.  0/2
MD: No reason cited.  1/2
VA: No reason cited.  4/5
WV: No reason cited.  2/4
KS:  2/4
Colorado River:     1/3
	 import:
ME:  0/1
VI  14/15
AZ (A&H) 0/1
FLDA:     completed 6 out of 12  projected.
	 Pesticide Dealer:
NH:  completed 17 out of 23
MA:  18/20
PR  64/92

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SC:  completed 270 out of 300 projected
CR:  completed 4 out of 8 projected
HI 64/80
WA:  Not specifically mentioned, but reorganization did take place
     within the Department in 1989.  19/25
AK:  No reason cited in the report.  0/3
KS:  108/116
Colorado River:     1/2
	 certified Applicators
PR 127/136
OH:  completed 215 out of 300 projected
IL:  completed  24  out  of  50  projected.    "Because  of  other
     priorities, (e.g. Alar,  food safety, insecticide chalk, etc.)
     IDA completed only 24  RUP inspection during the fiscal year.11
MT:  41 out  of 60  projected.   "This  was apparently  a planning
     oversight since 44 State inspections were conducted as well;
     many  of   which  could  have  been  conducted   as  Federal
     inspections."
AZ(A&H): 27/50
CA:   59/70
HI:   28/50
AK:  0/3
Gila River:    6/16
Quechan:  0/4
Details on above:
MA   "... due primarily  to a fiscal crises  which affected state.
     As a  result,  the staff  has  been seriously depleted.   This
     coupled with  hiring freeze has created  a  serious personnel
     shortage in the  Bureau.  The  State did not request amending
     their output, because they did not anticipate the inability
     to hire replacement personnel."
VI   no.i of inspections completed did not meet the no.# projected
     due to the vacant inspection position on St. Thomas.  -14%
PR   due to inspector turnover
NY   Confusion as to how these (AG. use) should be conducted, (this
     has been resolved).
KY:  Accomplishments considerably ahead of
     projections (1549 projected/ 5210 accomplished).
AL:  Accomplishments exceeded projections.
NCDA:     An increased number of  outputs  were  (approx.  3 times
     projections)  reported in the categories of Agriculture and
     Non-Ag. follow-up inspections/samples were  due  to the State
     counting  all  inspections  initiated prior  to  9/30/89,  not
     previously reported.  There was an apparent misunderstanding
     of EPA's uniform reporting requirements.  The problem has been
     resolved.
TN:  review did not include complete  information on  the type of
     inspections projected versus the number completed.
GA:  all projections met
FLDA:     state  far  exceeded  commitments  in other  categories;
     consistent with priorities which  give follow-ups top priority
     at expense of other categories if appropriate.

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IN:  competed 594  out  of a total of  535  projected;  shortfall in
     some  projections  due  to  the  loss  of  one  inspector  and a
     shufflin  of the others.
AR:  All inspt  lions and  sairnling commitments were met or exceeded.
TX:  TDA exceeded the commitments in inspection and sampling.
OX:  Inspection/sampling have been completed in a  timely manner and
     are acceptable.  However, E-O-Y  did  not have  attached Chart
     l, listing the # of inspections projected and accomplished.
KS:  had a very largo no.# of complaints  which took  away from
     commitments.  Marketplace and RUP commitments were reduced due
     to personnel having to take over administrative duties.
CO:  "The program met or exceeded all certification and enforcement
     activity projections."
ITCA:     Overall  pest,  programs si w  low no.# of  accomplished
          inspections in  the areas of Non-Ag., Certified applicator
          and marketplace.  Commitments were  not met  for most of
          the tribes.    Several  tribes concentrated  on  Ag.  use
          inspections and  completed far beyond  those  originally
          projected.  One of the tribes  (Cocopah) did not have the
          inspector  position  filled  during  '89.    Ft.  Mojave
          exceeded their commitments by 200%.
OR:  The number  of  inspections completed  was significantly lower
     than the n-mber projected for  agricultural  use,  experiments
     use, and pioducing establishment inspections.   During FY 89,
     the   Department   changed   from  reporting  the   number  of
     inspections initiate to the number of inspections completed.
     Inspections are considered  completed  when the  inspection
     report has  been  reviewed  and found to be acceptable.   This
     change resulted in lower reported accomplishments this year.
     By the end  of FY 90,   it is anticipated  that  this situation
     will be rectified.
ID:  ISDA came up short 2 use inspections due to a loss of two of
     the four State inspectors for a few months during FY 89.
PA:  All commitments were fulfilled.
WV:  Although not  every  specific  category    of inspection  and
     sampling commitments  were  fulfilled,  the  total  number  of
     inspections and samples were more than the commitment totals,
     and many categories were well above the committed rate.
DE:  No reason stated for the two categories that did not meet the
     commitments.  However, the total  number of inspections (359)
     were more than the predicted total (305).

     9.  Briefly note comments by tbe Regional reviewer, if any,
on the quality  of  the state*a enforcement actions  (for example:
Were warning letters well written?).
ME   "Documentation  included with each  inspection  file was found
     to be well prepared and complete  enabling the case reviewer
     to systematically determine the merits of the case.
NH   "Case files were found to be in good order,  very well
      documented for enforcement actions and consistent with EPA
      policy.   Violative cases were generally handled promptly
      during DY 89  except when they were delayed  awaiting the

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       completion  of  sample  analysis."
 VT:   "Enforcement actions taken by the  state were appropriate and
      timely and  in  conformance  with existing state enforcement
      policies."    Of 143 inspections a total  of  42 enforcement
      actions were taken.
 NJ   Penalties are being assessed on a  timely  basis
 PR   Little experience in case development (sample jackets will  be
      sent to Region  II once complete)
 KY:   Progress   from  previous   years   in   violations   ratio.
      "Reorganization has allowed any backlog in case review to  be
      addressed.    A  management scheme  has  been put in place  to
      prevent any  future  backlogs from occurring."
 AL:   Operating within ERP.  Good quality — all files include info
      on prior violations.
 NCDA:      Lack of records violations result of 1)  those  violations
           usually detected as result of use-related investigations,
           therefore   reported as  use;   2)  state record-keeping
           requirements are  minimal and  generally  do  not result  in
           detection  of violations.
 MS:   Violations ratio doubled from 11% to 20%  from FY 89 to FY 90.
      "HDAC is operating within  the stated Enforcement  Response
      Policy and the  quality of the enforcement actions continues
      to improve.
 TN:   "It  was  noted   that  a  few inconsistencies  remain  in the
      Enforcement  response Policy."
dTLDA^     quality of enforcement actions  continues to be good
 FLDHRS:    "The Dept. is  operating  within the stated ERP,  and the
      quality of the  enforcement actions continues to improve."
 SC:   "Case preparation is well done and the evidentiary  quality  is
      generally good." Standard affidavit form amended  to include
      a Miranda warning,  to be used only  after a person  had been
      taken into   custody."   Dept.  recommended  adoption of  a new
      Enforcement  matrix.
 MN:   MDA  should cite information on violations/penalties  for the
      75 enforcement  orders  concluded in FY  89  as part of its ERP.
      Percentage of enforcement actions  very high.
 MI:   "both agencies  worked on redrafting and strengthening the ERP
      during the  second quarter of FY 89,  in  order  to  remove the
      'subjectiveness'  of the enforcement  guidance  document and
      expand the violation type/gravity  matrices."
 OH:   "The ODA  has the ability to refer significant  violations  to
      its  Criminal Investigation Division  for  enforcement.  The
      Grant funds  one position  in the CID  for  the purpose  of
      enforcing state and federal pesticide laws...   This  program
      continues to be very successful."
 WI:   "Enforcement actions  taken by  WDATCP  during FY  89  also
      increased, mainly due to an increase in the number  of warning
      letters issued  to commercial application firms for  failure  to
      maintain proper books  and records."
 OK:   No major significant deficiencies.
 IA:   review included a  graph which  indicates  a greater  than 60%
      deficiency in the state initiating enforcement actions within

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     timeframes
UT:  "Several cases which appeared to contain adequate evidence and
     documentation of violations were left incomplete without any
     indication  of  the  Dept.'s  intent  to  pursue  remedies  or
     enforcement  actions...";  Dept.  apparently  not  following
     penalty matrix;  less  than 10% of  total  enforcement actions
     reported to EPA were verified by documents contained in case
     files.
NO:  "NDDA developed a new penalty matrix which included provisions
     for record keeping and specific  label violation."  "Warning
     letters should be issued immediately, not held until problem
     has  been   corrected.    Actionable  inspections  on  ag.  use
     inspections surprisingly low (only 7 warning letters for 181
     inspections).  No reason given in review.

SD:   Unavailability of an  attorney to address  SDDA  enforcement
     issues delayed  enforcement actions   "SDDA cases are being
     neglected" due to the attorney's "involvement in a large Dept.
     of Water and Natural Resources' case"
CO:  "Attorney  time  is  not  always  available,   therefore,   a
 ~   bottleneck develops during peak season periods when the number
     of  cases,  etc.,  far  exceeds  the  available legal  staff."
     "...since   the  accomplishment    for    inspections   and
     investigations are reported differently to the grant  it is not
     possible to establish an accurate relationship between the
     number of inspections or investigations conducted and
     enforcement actions taken by dept."
MT:  Trouble keeping up  with  case  development load,  since  case
     development officer position was lost several  years ago due
     to budget cuts.  Bureau chief overwhelmed with work.
AZ (S&P): Has no authority to issue minor enforcement actions
          very burdensome process
AZ (AaH): Case  review was  complete  with sufficient evidence  to
          document violations.
CA:  Excellent job in taking a large no.# of enforcement actions.
     Ag commission  has authority to  issue  civil penalties,  but
     their has  t  an inconsistencies in penalties issued for the
     same violat. n. EPA has provided initial guidance on when to
     issue actions.
NV:       Inspectors are  increasing  focus  on information needed to
          develop proper enforcement  actions.   Emphasis  has been
          placed on  marketplace and  producer  estab.   inspections
          due to the history of violations.
HA:  WSDA is following their  enforcement  response policy.   There
     are 1988 case reports that are still incomplete.
OR:  Based on cases reviewed, it appears that  the  Department is
     taking appropriate  enforcement  actions  within the penalty
     policy that was in  effect during  FY  89.   However  it was
     suggested that the State consider changing the language on its
     warning letters from requesting changing of compliance  to more
     stringent enforcement language.
ID:  The Region found a significant  number of cases where it seems

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     that the  Bureau is  not consistently  applying the  penalty
     matrix and  issuing less stringent  actions than the  matrix
     prescribes.   The large number of cases where  the Region and
     Bureau differ  in response  selection  indicates that  better
     guidelines  and  instructions  for  applying the  matrix  are
     needed.
MD:  Enforcement actions taken by the State were appropriate and
     complied with  the  Maryland penalty matrix.   The level  of
     enforcement  actions  compared  to  inspections was  4.3%  as
     compared with a regional average of 18.4%.
VA:  Total enforcement actions during FY 89 total 104 which gives
     a rate of 8.8%.  While  it is less  than the Regional  average
     of 28.3%,  the VDA is pursuing enforcement within the scope of
     their present   regulations  and  has  shown an increase  in
     enforcement  actions  taken  compared to  FY 88  performance.
     VDACS  is  revising their  Enforcement  Response  Policy  to
     incorporate the new statutory provisions.
DC:  There were a total of 217 inspections during  the year, with
     actionable inspections totaling 128. This gives an actionable
     rate of 59%, compared with a regional  average of 18.4%.
PA:  Inspections totaled 864.  Actionable inspections totaled 148,
     which gave a rate of 17.1%,  compared with a regional average
     of 18.4%.
WV:  Total  actionable  inspections   were   7.1%   of  the  total
     inspections (382),  compared  with a regional average of 28.3%.
DE:  Total inspections  of  359  included  56   (15.6%)  actionable
     inspections, compared to a regional average of 28.3%.

    10.   Indicate  with a cheek any deficiencies noted  in the
general quality  of  the following inspectional and case  review
activities listed below, specifying if possible in which type of
inspection the weakness was  found.   Comments  night also address
any noteworthy or outstanding achievements.

a) 	 Use of proper forms (ex. Notice of Inspection)
MN:  In one non-ag followup inspection, NOI and Facility Inspection
     from not used.
MI:  "13 marketplace inspection files did not contain the correct,
     complete compliment of official documents and  the majority of
     the inspections were not conducted uniformly by the inspectors
     across the State."
NM:  The forms and procedures used by the inspectors complied with
     the EPA Inspector's Manual with the exception of the absence
     of the Notice of Inspection forms which have not been use on
     a  routine  basis.   However, the SLA  has  a  new Notice  of
     Pesticides Inspection form which is now being
ND:  "Violations are  freguently  stated  unclearly or are entirely
     lacking on forms provided to the violator."
SD:  Notice of inspections not always issued  to owner,  operator,
     or agent in  charge at each  inspection site; forms should be
     filled out completely?  some misunderstanding of terms on the
     forms (dilation  rate, amount of diluted  material  per acre,

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     etc.); documents should be rigned and dated.
MT:  One inspectors  has  continued to use an  outdated NOI form.,
     which  lacks a  place to  enter  current  inspection category
     numbers.a

b) 	 use of proper sampling procedures (ex. Chain of custody)
VA: See comment below.
WV: See comment below.
c) 	 Proper documentation (photos,
      naps, Affidavits, etc.)
GA:  documentation not always identified properly
SC:  "Some  inspectors  were   using   specimen  labels  from  the
     Department's  office  files  for  Documentary  samples.    The
     disadvantages of this practice was discussed with management,
     along with  the  necessity of verifying the actual pesticide
     a  lied by the user.   The Department has begun the process of
     changing its
MI:  five  PEI inspections  so poorly documented  they were  not
     included in the  final count.   Unifonr completion of inspection
     documents not methodically done by all the state inspectors.
MN:  "collection of product labels for followup  activities appears
     to be reduced."   "Significant  information  missing  from a
     number of the market place  inspections included batch codes
     or lot  numbers present  on  the product  containers sampled,
     establishment of a link  between  the  information on shipping
     records and invoices to the products sampled, and narratives
     on the preparation of samples collected."
OH:  For  MPIs,   many  inspection  reports  are  lacking  shipping
     documentation.  Some marketplace inspections did not contain
     Dealer  Affidavits,   Invoices  and/or  Shipping Records,  and
     proper Receipt for Samples,  even  though physical samples were
     obtained.
Wl:  "...  methodical and  uniform completion of  the documents was
     lacking."
AR:  In general  evidence  gathered was adequate with  the  notable
     exception of  the  lack of a  product  label.  A photo  of the
     label  or  a  suitable  copy  is  vital  to  the  successful
     prosecution of  a  "use inconsistent with the  label"  type of
     violation.
UT:  "Inspectors not documenting their  inspections of dealers or
     marketplaces with NOIs;  few case files  contained  photos or
     other important evidence"
ND: maps not properly label d or lack complete info; not all
observed violations documented.
PR:  "...  not all  inspections  properly  documented.   For example,
     in the  quarterly reports there are  a  total  of  11  market
     inspections recorded."
CR:  "Violations need better  documentat'on."   CR  "needs  to make
     more extensive use of photos, copies of invoices, affidavits,
     samples and narrative descriptions."
MT:  "Some cased were noted where the inspection form indicated a
     possible problem,  but not enough  information was presented to

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     evaluate whether an enforcement action was called for."
WV:  discrepancies   involved   chain  of   custody  records   and
     documentary samples.
DE:  Inconsistencies   on   photographic    evidence    and    its
     authentication  and  incomplete  documentary  samples   were
     discovered upon review of the misuse investigation files.
d) 	 Completeness of inspection
UT:  "Several  cases were  closed  on  the  basis  of  insufficient
     evidence, yet investigation itself was incomplete."
WA:  After review of a number  of inspection reports it was noted
     that several Marketplace  inspection  reports, Restricted-use
     pesticide  dealer   inspection  reports,   agricultural,  and
     pesticide establishment inspection reports were not complete;
VA: See comment below.
Colorado River:  More thorough inspections could be conducted in
     cased such as pesticide exposure incidents,  fish kills, drift
     of pesticides over  residential areas to determine the type of
     violations that may have taken place.
e) 	 Prompt response to complaints and tips
ND:  Slow response to follow-up on cases
f) 	 Timeliness of Inspection Reports
NY:
KS:   Backlog of complaints
g) 	 Quality of reports
Wl:  Statements as to whether  or  not  producer facilities were in
     compliance were used instead of concise, clear and objective
     narratives on the observations made and the questions/answers
     obtained during  the inspection.   Narratives  of marketplace
     inspections  need  to  include  1)  the  type  and  extent  of
     pesticide marketing for each establishment; 2)  compliance with
     Title  40 CFR,  Part  156; 3)  compliance  with major  FIFRA
     registration  suspension  and/or  cancellation  actions;  4)
     compliance with  changes  in the  classification of pesticide
     products under FIFRA.
MI:  A number of  inspection files did not contain narratives for
     an efficient case review and enforcement disposition.
UT:  "Most case files were lacking narrative."
ND:  "difficult to understand due to poor organization, inclusion
     of  irrelevant  information, charts  and maps  frequently not
     labeled or lack complete information11
MT:  "In  many  cases,  no  descriptive information,  beyond  the
     checklist, is provided."
Colorado River:  Summary reports did not contain narratives or any
     kind of  description about the  kind  of inspection activities
     taking place and about the site of the inspection itself.
      Timeliness of Case Review
h)
NY
IA
      Enforcement Actions consistent
      with enforcement response policy
                                23

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IA:
AZ (S&P):
NV:
j) 	 Timely Enforcement actions
IA:
CO:  bottle neck at attorney general's office develops during peak
     season periods when the number of cases ready for review and
     disposition  far  exceeds  the  available legal  staff support
     available to complete the process,  expeditiously.
SD:  unavailability of  an  attorney  to  address  SDDA enforcement
     issues.  This  problem  stems  from the attorney's involvement
     in a large DWNR case.  SDDA cases are being neglected during
     this period since no one is assisting with the backlog.

k) 	 Referrals from Region to state
LA:  The turn around  time on  inspections has  almost always been
     adequate; however,  there have been a couple of special request
     referrals that were not completed and returned to EPA Region
     VI in time to meet Headquarters' deadlines.
IA:
CA:  Not adequately tracked and submitted
AZ (S&P):
NV:
1} 	 Referrals from state to Region
OH:  Several MPI cases "were forwarded to Region V to enforce label
     violations.  However,  Region V  is  experiencing a backlog in
     enforcement  cases  and has not yet taken  action  on  these
     cases."
OR:  The backlog  of cases  referred  to  Region X for  review and
     action has improved somewhat.  However,  the Region is far from
     meeting its goal to take  action  on these cases within 60 days
     of receipt.


General Comments:
VT:  "The quality of the cases was excellent and the  files ail well
     organi? jd."
RI:  files   ell  organized  and  proper  inspectional  and sampling
procedures were followed and investigations adequately documc- ted.
NJ   All inspection and sampling projections  were  either  me:, or
     exceeded (jackets well prepared)
PR   all c  ~egories suffer  due  to the lack of a core inspection
     program
NY:  sample jackets were filled out correctly- but there was only
     one  for  a  recent inspection.    Only one inspection  was
     completed over the  past six months.   Quality  of sample jackets
     improved over previous yrs.- but it  was decided that regional
     reviews and joint  inspections would be made of  '90.
KY:  "With  few  exceptions,  the case files  generally met minimum
     data requirements  as negotiated din the  CEA.   Inspectional
     formats and  reports  developed at  the mid year review in an
     effort to standardize procedures and reporting have been very

                                24

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     successful.
AL:  "exceeded  minimum data  requirements as  negotiated in  the
     Cooperative Agreement."
NCSPCD:   "The case files met or exceeded minimum data requirements
     as negotiated in the CEA and were of good quality."
NCDA:     "The  files were found  in most instances to be complete
          and in good  order."   "...all  other case files reviewed
          appeared to  meet  the minimum data  requirements."   The
          state  recordkeeping  requirements  for   dealers   and
          applicators are minimal and generally do not result in
          the detection of many violations."
MS:  files reviewed met or exceeded the minimum data requirements
     as negotiated in the cooperative agreement.
TN:  "With few  exceptions,  the case files generally met minimum
     data requirements as negotiated in the CEA."
FLDA:     Reviewer said reports of high quality.
FLDHRS:   "Case files  reviewed met or exceeded the minimum  data
     requirements as negotiated in the cooperative agreement."
IN:  reviewer reports  that all  types  of  inspections adequately
     performed.
LA:  The State continues to do a good job of compiling cases with
     all necessary documentation and photographs intact.
KM:  The State does a good job  of compiling enforcement cases with
     all necessary documentation and photographs intact.
AR:  The  enforcement outputs  were  reviewed and  there were  no
     deficiencies in the enforcement accomplishments.
TX:  Twenty case files were selected at random for review and all
     had adequate documentation to support enforcement actions at
     the Federal and State levels.
     Overall,  inspectional   and case   activities   appear  to  be
     excellent.
OK:  No major significant deficiencies.
AZ (S&P): all cases  no matter  how minor must be presented before
          the seven member commission
HI:  One firm was inspected four times within 30 days.  This
     need to be discussed with the inspector to avoid this in
     the future.
CA:       special request have  not been completed in a timely manor
NV:       Dept.  of ag.  was using a 3 yr old ERP policy that was
          submitted  for comment by the  attorney generals office.
          As of this review a new/revised policy was submitted
Navajo:   Inspection Reports are adequately filled out.
OR:  overall, the  quality  of  the inspection reports  that  were
     randomly selected were good.  However, it was suggested that
     the State should consider  developing  a notice inspection form
     for  use and  misuse investigations.   Based  on  the  cases
     reviewed,  it   appears  that  the   minimum   standards   for
     inspectional activities are being met or exceeded.
ID:  Based  upon the inspection  evaluations, most reports  met
     applicable FIFRA procedures.
MD:  The  quality  of the  inspection reports that  were randomly
     selected were good.

                                25

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VA:  Review  of files  indicated a  lack of  documented  chain  of
     custody   for   samples,   lack   of  written   statements  by
     interviewers,  inconsistencies on photographic evidence and its
     authentication, and incomplete documentary samples.
DC:  A review  was  made of the misuse  investigation  files.   They
     were found to  be complete and properly documented.  Files were
     also reviewed for producer  establishment,  market place, and
     dealer record inspections.
PA:  Files appeared to be complete  and properly documented.


     11.  what is the average time  taken to respond to complaints
of pesticide violations?
MA:  "adequate"
RI:  "sufficient"
NCDA:     1-2 days
LA:  "Adequate"
NM:  Adequate and within timeframes set by EPA on referrals.
AR:  "Timely and satisfactory"
TX:  "Prompt"
OK:  "Reasonable"
IA:   3.6 days
SD:  approximately 2 to 3 days
AZ (S&P): 2 days maximum
WA:  Usually within 2 days.
ID:  Usually within 2 or 3 days.
MD:  1.4 days
VA:  2.9 days
DC:  1.0 days
PA:  3.0 days
WV:  4.3 days
DE:  1.7 days

     12. List  any  inspection or related forms developed by the
State.
NH:  Revised the private applicator  examination and developed a new
     supervisory level commercial class examination for turf pest
     control applicators.
ME:  Revised Core Level examination for applicators,  adopted the
     Pennsylvania Core Level Training Manual, revised to meet
     Maine's needs, and development of several new subcategory
     training manuals. GA:    state forms currently under revision
     (reviewer does not say   what  forms); state inspectors manual
     also being revised;
SC:  revised criminal  and  civil  affidavit forms,  providing place
     for the title of the person giving statement.
MI:  new inspectional  form  developed  in  '89  allowing  for more
     thorough   documentation of  pesticide  use   (included  as
     attachment to review)
NM:  The State has  developed  a new Notice of Pesticides Inspection
     form which is now being utilized on all inspections.
AR:  A complaint form  has  been  developed to facilitate gathering

                                26

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     information concerning citizen complaints of suspected misuse
     of pesticides.
TX:  Hew State forms,  (4), have been developed for use by the field
     inspectors.  All four forms are acceptable by EPA for use in
     the enforcement program.
OK:  State is developing guidelines  for handling pesticide waste
     and rules/regulations for handling "Hazardous Waste"; also,
     State has developed an environmental complaint program which
     encompasses several State agencies.  This directs complaints
     to the proper agency for investigation and follow-up so that
     complaints are brought to a proper conclusion.
ID:  ISDA has developed a new marketplace inspection form.

ANALYTICAL

     13.  Check if there were any problems noted in the following
areas, and then elaborate, if possible.

a) 	 completeness of Laboratory Reports:
UT:  Lab  needs  to  improve documentation  procedures  related to
     chain-of-custody.

b) 	 Timeliness of Sample Analysis (turn around time)
KY:  "not optimum"; "delayed"  "...turn around times have not been
     optimum and samples have been delayed."
NCDA:     "o.k."
MI:  3 months for formulation  samples,  2 months for residues.  A
     few  of  the  formulation samples  were  pending at year-end,
     because the  lab did not  have suitable methodology  for the
     analysis of the active ingredients.
AR:  Inspections  and  sample analyses  have  been completed  in  a
     "timely fashion and are acceptable".
OK:  Completed in a timely fashion and are acceptable.
IA:  85 days.  Many did not meet the 45 day turn around
KS:  45 day maximum, 41 day  average.   They  have been functioning
     within the required 45 day turn around time but more samples
     are coining in so they may fall behind.
AZ (A&H): within 6 months
HI:       Formulation 1-2 weeks,  residue 2 weeks
NV:       13 day ave.
WA:  "Turnaround time has not been a problem." The WSDA laboratory
     has requested that product samples be collected and submitted
     for analysis during the winter months when there is no backlog
     of residue samples.
OR:  Analytical activities cannot be accurately  evaluated based on
     random sampling  of cases  for review.   The review indicates
     that analytical timeliness may be improving but one analysis
     took over  six months  to  complete.    The  EPA check sample
     program  indicates that analytical results  continue to be
     excellent.
MD:  35.5 days (this was due in part to a long term illness of one
     of the residue chemists);  Formulation time - 14.2 days.

                                27

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VA:  42.7 days  for residue chemistry; 59.2  days for formulation
     lab.   Both  the formulation  and residue  labs  continue to
     perform  poorly  in  providing  laboratory   support   for  the
     pesticides program.  Several samples were processed so slowly
     that the results could not be considered reliable and possible
     enforcement actions were dismissed on the basis  of inadequate
     laboratory data.  A concern has been raised as to whether or
     not  the laboratory  is  capable to  adequately  support  the
     pesticide program  and meet  the regulatory obligations under
     the grant and cooperative enforcement agreement.
DC:  Turn  around  time   for   residue and  formulation  chemistry
     averaged 17 and 16 days respectively.
PA:  18 Days
WV:  Residue - 9.25 days; Formulation - 22.38 days
DE:  Residue - 21.9 days; Formulation - 23.5 days
IN:  residue samples delayed due to lack of available methods and
     standards to analyze many newer pesticides.
SD:  poor
CA:
     1.  Did the reviewer find a sample backlog?
KY:  yes
MN:  yes, in  formulations.   This was due to the large  number of
     residue samples being collected during the project period and
     especially during 3rd and 4th  quarters, requiring chemists to
     be temporarily reassigned to meet the demand; thus formulation
     samples accumulated.
IN:  no in the formulation laboratory; yes, there was a backlog of
     130 samples in residue lab.
MI:  15 formulation and  41 residue  samples
OH:  formulation:  no
     residue:  yes (66 samples)
SD:  yes—40 days
MD:  Yes.
PA:  Yes
     2. If yes, how many days?
KY:  not specified in reviewed
OH:  90 days
MD:  Four week backlog.
PA:  2 weeks

c) 	 Minimal Standards:
KY:  Results of NEIC check sample  program  indicated deficiencies
     in laboratory abilities and controls.
IA:  several samples did not ~>et their commitments
UT:  Lab needs to develop sta. ^ard operating procedures.  Lab needs
     to improve overall recordkeeping system, improve the use of
     instruments  and  equipment   log  books,   and  improve  the
     analytical reference standard  tracking procedures.
SD:  NEIC reviewer "was  particularly  concerned  with the  legal
     defensibility  of   cases  for  which  laboratory  results  are
     crucial evidence."
HI:  Unavailability of standards has slowed analysis

                               28

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     Lab  needs  information  on what  to do  with residue  sample
     disposal
NV:  standard samples not available
WV:  The  lab staff  expressed  concern  over the  difficulty  in
     obtaining standards for new chemicals.
ID:  Sampling procedures should be  standardized to avoid potential
     sample contamination.  ISDA does not have a sampling quality
     assurance plan in place and should develop one that addresses
     these procedural and chain-of-custody issues.
d) 	other:
PR   Total collection of samples was 9% below that projected.
VI   No indication on quality of sample handling.  Total samples 84%
     below projections
NY   The lab was not fully functioning until well into their
     project period.  It is now fully operating.
AL:  "The total  number of  samples collected exceeded  the total
     projected,  although the distribution of  samples collected was
     not as  projected  in several categories."   [Ag.  use,  non-Ag
     use, marketplace, certified applicator records, restricted use
     pesticide dealers.]
WI:  a revised QAPP to be submitted by June 1990
LA:  ISSUE:  One major  concern  regarding  the  lab  is  that  the
     building has been condemned and may be rebuilt,  resulting in
     a possible shutdown  of  laboratory  activity in the  summer of
     1990.   This factor  wads  taken into consideration during the
     FY 90 grant negotiations.
NM:  The  EPA's  Office  of  Quality Assurance  requested NMDA  to
     provide a  much  more in-depth report and  suggested they use
     Louisiana's FY 89 QA Report to serve as a guidance for their
     FY 90 submission.
AR:  An in-depth review of the laboratory was not conducted at this
     time.   A review was conducted in April  1989 by  the Regional
     QA Office and no major deficiencies were noted.
TX:  The State has submitted the annual Quality Assurance Report,
     and it was accepted by the EPA Regional Office.
OK:  An in-depth review of the laboratory was not conducted at this
     time.  A review was conducted  during the year by the Regional
     QA office and no major deficiencies were noted.
MT:  The department  should  re-evaluate  our  analytical method for
     strychnine analyses.
CA:  difficulty in detection  of residue samples at extremely low
     levels
HI:  Obsolete spectrophotometer is being replaced
WA:  The  WSDA laboratory  is  in  the process  of  revising their
     quality assurance project plan.

     14.  Did the reviewer identify any laboratory needs, such as
more personnel or upgrading of equipment?  If yes, elaborate.
NC:  Could benefit by additional GC and a LC pump;
MN:  "ASD sample tracking system is badly  in need of maintenance
     and updating."
IN:  "Experiencing difficulty in obtaining  Material  Safety Data

                                29

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     Sheets."
OH:  residue lab plagued by personnel shortages over past several
     yea;  .   "Unless  something  is  done  to  change the  career
     structure and  salary in  the lab,  it seems that  personnel
     shortages will be a perpetual problem."
LA:  The lab still badly needs some equipment such as the GC-Mass
     Spectrophotometer.
NM:  The laboratory has adequate equipment and appears to be well
     run.    They indicated  the possibility  of hiring  a student
     technician to assist the chemist.
OK:  In need of a Geographic Information System.
SD:  More training needed for SDSO chemists at federally-sponsored
     trainings.   Reviewer noted lack of attendance on the part of
     SD chemists  in  1989.   NEIC said  SD needs to refrigerate
     vegetative samples during shipment; and document  sample chain-
     of-custody beginning at the  time  of collection, rather than
     upon receipt by laboratory.
MT:  "The NEIC auditors felt that EPA should consider  supplying new
     equipment to Montana..."
AZ (A&H):  resources were limited and unable to analyze some pest.
NV:  Replacing old equipment with a H.P. residue sampler
OR:  Need is for increase laboratory resources.
HD:  The oldest liquid chromatograph is more then 16 years old;
     There is a need for additional training of the chemists.
PA:  There is a need for a GPC cleaning system to be added to the
     lab to help process samples.
WV:  New equipment was mentioned as a need.
DE:  The HPLC is more than 10 years old  and  is currently down with
     no parts  yet available,  however,  alternative  equipment  is
     a^ ailable until new equipment is purchased.  In addition, DDA
     expects to formally transfer one  chemist  to the  pesticides
     section who will do all the pesticide analytical work.
MAINTAINING FILES AND TRACKING

     15.  List any problems with  regard  to maintaining files and
tracking mentioned in the review.
KY:  Tracking system in good order.  "Clear correlations could be
     made between the  inspections and  actions  recorded  in the
     manual tracking charts and what was  reported in the quarterly
     reports."
AL:  "The States method of filing  (tracking system) appears to be
     sufficient."
NCSPCD:   Division participating in a pilot program that involves
          the development of a  computerized tracking system called
          PETS.   Information on the  pros and cons  of the system
          will be available during FY 90.
NCDA:     "State reports that there have  been problems with [PETS]
          system," and is not performing as expected.
MS:  computer tracking  system  meets  all requirements  of  the CEA

                               30

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     Guidance.
TN:  "The tracking  system utilized by  the Pest  Control  section
     appears to still be  in  disarray.   No real correlation could
     be made between the  inspections and  actions  recorded in the
     quarterly  reports  due  to  the inconsistencies  within  the
     tracking procedures."
GA:  no problems; well-maintained and efficiently tracked.
FLDHRS:   files well maintained
SC:  files met minimal requirements
IN:  ISCO converted its  system from a mainframe computer to an in-
     house system.   The conversion was not as successful  as it
     should have been.  "Currently, the information in the computer
     is either inaccessible or accessible  only  on a crisis basis."
WI:  WDATCP was unable  to complete the PETS Project,  because of
     difficulties in getting the program on-line.
UT:  Tracking System  does not  maintain specific  information on
     individual  inspections;  not  possible  to confirm  the  107
     enforcement action  reported by Dept.;  not files  for every
     reported case;   tracking  system  can't distinguish  between
     routine inspections and complaint or misuse inspections; case
     files assembled without regard to sequence or order.

ND:  "Inadequate tracking system."
CO:  "The delay of follow-up actions is due in part to lack of an
     adequate  tracking  system...A  computer purchased for  case
     tracking should improve this situation."
MT:  "Montana  is working on  an  internal enforcement  tracking
     system.  This project will  ultimately result in revision of
     the inspection forms, laboratory data handling procedures, and
     quality assurance documents.  The development of EPA's pilot
     enforcement tracking system had slowed progress on the State
     tracking system until recently."
     The file review revealed a significant number of book keeping
errors in the tracking of routine inspections.
AZ  (S&P): Federal use inspection information on companies is not
          being added to the SPCC data bank
NV:       since  the last evaluation  report,   files  are  better
          organized
     16.  Note any remarks concerning referrals from the Region.
KY:  "Significant  referrals  were handled  expeditiously,  other
     referrals are addressed  as  time  allows."   "Backlogs in data
     entry."  "Significant  referrals  are completed within thirty
     days and  complaints coming into the state office are assigned
     and initiated within 24 hours."
AL:  "Significant referrals were  completed within thirty days.  All
     other  Headquarter/Regional  requests   and  referrals  were
     completed in a timely manner."
FLDA:     State is following procedures negotiated with  the Region.
MN:  Five PEI inspections referred from Region;  completed by MN on

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     timely basis in accordance with EPA protocol.
LA:  The turn around  time  on inspections has  almost always been
     adequate; however, there have been a couple of special request
     referrals that were not completed and returned to EPA Region
     VI in time to meet Headquarters1 deadlines.
AR:  The response to  special requests  by the EPA Regional Office
     have been timely and satisfactory.
TX:  Turnaround time  at  the SPCB is prompt.   When  referrals are
     made, inspectors  proceed immediately to conduct the inspection
     and  submit  results to  the  regional  office.    Cases  are
     processed without any backlogs.
OK:  Completed in a timely and satisfactory manner.
CA:  NOL adequately tracked and submitted
NV:  Recommendations  in  '87 &  '88  were that  inspections better
     understand enforcement policy  and matrix, sect.  12  and the
     referral procedures.  Work has shown improvement.
ID:  The Bureau was very "conscientious" about informing the Region
     about misuse cases that seemed  to meet Section 27 significant
     case criteria.  Response time ranged from  14  days to 77 days.
WA:  The State has been "responsive" to Regional referrals.
MD:  Maryland responded  to  8 formal referrals from  the regional
     office.
VA:  Virginia responded  to  14  formal referrals,   of  those 8 were
     section 27 referrals.
PA:  31 referrals were forwarded to PA and were handled correctly
     ar  within time guidelines.
WV:  w\ -\  responded  to 2   section 27   referrals   and  4  other
     investigation requests.
DE:  DDA  responded  to  5  formal  referrals  and   investigation
     requests.

     17.  Is the State's tracking system  automated, and if not, is
it in the process of being automated?
KY:  Not  addressed  in review,  but  88  end-of-year review  says an
     automated system was implemented.
NCSPCD:   yes
NCDA:     yes
MS:  yes
MN:  yes, it is automate*. .
IN:  yes
MI:  not mentioned in review
OH:  yes  (PETS)
WI:  yes  (PETS)
LA:  Automated
NM:  The tracking system is still being done manually.
AR:  Automated, but needs to be upgraded  with increased memory and
     add  the  capability to communicate  via  telephone with other
     computers.
TX:  Automated, TDA has e case tracking system by computer entitled
     "Pesticide Investigation Tracking System".
OK:  The OSDA complaint  tracking system  is good  and enables them
     to easily located a completed file or complaint  investigation

                                32

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     in progress and determine the status of the investigation.
     (Do not know if the system is automated or not.)
ND:  computer recently purchased for tracking
SD:  yes
CO :  yes
PR:  no
OR:  In the process of being automated.
ID:  In the process of being automated.
VA:  Automated
wv :  Automated .

FISCAL REVIEW
     18
year?
KY:  $0
AL:  $0
NCSPCD:
NCDA:
MS:
          Hov much,  if any, money was left at the end of the fiscal
          $2,115
          1,098.14 — carry over requested by state
     $20,000
TN:  $4,383.31
GA:  $1,632.27
SC:  $0
IN:  $0
MI:  $0
OH:  $0
IL:  $2,115
LA: No unexpended cooperative agreement  carryover funds  for FY 89.
NM: None
AR: None
TX:  Not specifically identified.  TX has financial recordkeeping
     in place.
OK: None
RB:  $14,250
DE:  $7,000 - $8,000 to be returned.

     19.  Identify an; problems with financial recordkeeping.
CO:  Pete Menda  of Region 8  Grants Office recommended that the
     "recipient review and revise present travel allocation method
     in order to directly charge  travel per  diem costs  to the
     appropriate cost centers based on  employer's timesheets and
     travel vouchers."
HI:  After  an IG  inspection/assessment,  HI implemented monthly
     reports  from  accounting  office and general  services.   Must
     breakdown  into FFY,  develop  a manual worksheet  to  track
     expenditures .
WA:  Recordkeeping is adequate;
DC:  DC has had problems, because the final FSR's do not come out
     until after December.  There  is a  risk every year of losing
     funding  for this reason, and  because drawdowns are not made
     frequently enough.
WV:  Changes to time forms are being made to improve accountability
                                33

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     of tine for the FY 90 grant commitment.

     20.  Explain any problems the State has with the cooperative
agreement.
DC:  Inadequate staff (need more staff);
     Inadequate telephone system; and
     Financial status report (FSR) problems.
LEGISLATION

     21.  Identify in general terms any  changes  made or proposed
to the state*s pesticide laws, regulations or procedures effecting
pesticide enforcement program.  Look especially for any changes in
civil penalties.

ME   "At least two (2) bills are in preparation for a later
     submission to the next session of legislature that would
     increase maximum penalty under a civil action from $500.00 to
     $5,000.00.
NH   No new legislation proposed.  However,  they are revising and
     updating the Pesticide Regulations for review by next session
     of the legislation.
VT:  not addressed in review
MA   "The Department  has  completed staffing of its  Right  of Way
     Management  Program   which  now  consists of  four  full-time
     persons.   They  have  also  rf/ised their  Public  Water Supply
     regs."
RI:  no  changes to  pesticides  control  law  during  this  period.
     However, the Rhode Island Governor  and  the  General Assembly
     have  established a  task  force  to  overhaul the  Dept.  of
     Environmental    Management.       Among   several    initial
     recommendations is the proposal to move Pesticide Contrc  ?nd
     Enforcement out of Dept. of Ag.
VI:  Little progress made toward  amending  their pesticide law;
     during the mid-year-review  a  meeting was scheduled to write
     comments on draft amendments to pesticide law.   Written
     comments were not sent to ;\eg. II.
     Recommend comments be prepared and sent to Reg. II by January.
NY    Only  three p  ts of the NY state notification  regs.  are in
     effect.  The . .maining parts will be decided at the result of
     a law suit.
KY:  "No changes to Kentucky statutes or regulations during grant
     period.  KDA is working to  completely  revise their sections
     217/217b. [Not explained what  this is in review.] It is hoped
     that this will be completed during the next grant period.11
AL:  No changes to Alabama Pesticide Law during grant period.
NCSPCD:   "Several changes to the  North  Carolina Structural Pest
     Control Law were enacted by the N.C. General Assembly during
     the 1989 Session."   What these changes  are  is  not explained
     in review.

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NCDA:     No new legislation enacted during FY 89.
MS:  Amendment to regs governing pest control operators finalized.
     Requires verifiable  training of  technicians  and owners  or
     employees  of pest  control  companies  who apply  pesticides
     and/ or conduct service inspections. Also establishes training
     standards  and sets  forth mechanics  for implementing  such
     training requirements.
     Department also proposing an amendment to the pesticide law
     to include civil penalty provisions.
TN:  State laws changed to allow the issuance of civil complaints
     by the entire enforcement program.  TDA is just beginning to
     incorporate this ability  into  the program and  are  actively
     working out the mechanics.
     Liability  Insurance requirements were   raised  to  require
     coverage  up  to  $50,000  for  an  individual,  $100,000  per
     accident, and $300,000  total per company.
GA:  No  legislative  changes  made.    A  change   in  insurance
     requirements for commercial applicators is anticipated.
FLDA:     No legislative changes made.
FLDHRS:   no new  or proposed legislation  was  enacted during this
     reporting period.
SC:  Amendments  passed:  1)   Dept.'s   attorneys   may  represent
     inspectors in criminal  cases; 2) Dept. is  authorized to issue
     civil penalties; 3) extends Dept.'s ability to regulate pest
     control industry .
MN:  Amendment to Pesticide  Control  Law changes private applicator
     certification  period  from  5  to  3  years,  distribution
     restrictions, registration licensing fees.
     Groundwater Protection Act of  1989 develops  educational and
     training  programs,  develops   pesticide  management  plan,
     groundwater management plan, establishes pesticide container
     and recycling pilot project.
IN:
     No  amendments made,  but  the  Pesticide  Review Board  Law
     Committee made  a  number of  recommendations,  and  it seems
     likely that they will take the drafts of the revised laws to
     the  Legislature:  the addition  of civil  penalty authority;
     changing the  expiration date of  pesticide applicators from
     March 31  to December 31.;  addition of definitions such as
     "chemigation" and "pesticide consultant" ; adopting the EPA RUP
     list by reference  rather than publishing the restricted use
     products in the law.

     Gov. Blanchard signed into  law '88 Amendments to the Michigan
     Pesticide Control  Act.   Administrative  rules and regs based
     on  the  amendments  will  address  certification   training,
     registered technicians of commercial application firms, best
     management practices/ integrated pest management guidance, and
     administrative   procedures  for  the   issuance   of  civil
     complaints .
^'X
OH:)  Lawn care regs approved and published;  no action on another
                                35

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     bill that  would have  added  additional requirements  to the
     ODA's lawn care regs.
     OMNIBUS Bill including authority  for  the  ODA to issue civil
     penalties for violations of the Ohio Pest.  LAw introduced into
     legislature.
     Proposed legislation drafted by ODA to: 1) change membership
     of the Interagency Pesticide Advisory Council; 2) give Council
     authority to designate non-attainment areas where pesticide
     levels exceed rnaxi* am contaminant  levels or preventive action
     levels; require persons applying specified pesticides in those
     areas to obtain an integrated pest manage license.
WI:  WDATCP  finalized amendments  to Pesticide Law  and submitted
     the Rule Implementation Report.   "Amendments deal primarily
     with   clarifying   and  expanding   commercial   applicator
     certification   and   licensing   requirements  and  requiring
     specific chemigation equipment/design requirements."
IL:  1) Passage of  Lawn Care Products  Application and Notice Act
     which  requires lawn  markers, notification  on  golf courses,
     inform tion tc  customers, prior notification of application
     to lawn; prior notification of application for gulf courses;
     Irst offence: $100, 2nd:  $200,  3rd: $500.
     2) IDPH revising rules and regs for Structural Pest Control
     Code.   New rules  effective 2/3/89.   New  rules establish 1)
     minimum  storage requirements;   2)  storage  requirements  and
     handling in vehicles;  3) more  recordkeeping for general and
     RUPs;  4) stricter procedures for  applicav.ons around health
     care  and food  areas;  5)  mandatory reporting  of hazardous
     situations.
LA:  The Louisiana Pesticide Law was amended in 1988 to include a
     Part giving LDAF authority  to monitor  the  waters of the state
     for pesticides and to take remedial action as warranted with
     penalties up to $25,000.   Ir addition it requires the filing
     of Material Safety Data She   for  each product  as part of the
     State's registration progr     Penalties for Structural Pest
     Control violations have been  increased to $5,000 maximum.  The
     State  is also working on a ticket citation program for minor
     violations.
NM:  NMDA did not submit proposed  legislation in  1989 to give them
     administrative civil penalty authority; however, it is EPA's
     understanding  that  this will be  introduced  in January 1990
     through the Governor, since only the Governor can submit new
     legislation in even numbere-  years.
AR:  There  have  been  no  legislative  changes   since  the  last
     evaluation and none are anticipated.
TX:  TDA's  Sunset Bill  passed  the legislature in late May 1989;
     This  expands TDA's  enforcement authority  by  giving  TDA a
     consistent broad range of administrative penalties.
OK:  No changes made or proposed.
UT:  A  sunrise/sunset  review  of  Utah  Pesticide  Control  Act was
     conducted.  Results not available at time of review.
ND:  1) Program budget increased  from 23,776 (1987-89) to   $45,238
     (89-91) ; 2) provision for allowing application of RUPS by non-

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     certified   applicators  under   supervision  of   certified
     applicators   eliminated;   3)   Licensing   requirement   for
     certified commercial applicators eliminated; 4) bill proposed
     to require beekeepers  to register their  hives with NDDA and
     aerial applicators to  notify beekeepers  before  spraying; 5)
     Pest control board approved mandatory applications of private
     applicators for certification and recertification.
SD:  1)  "The Centennial  Environmental Protection  Act was passed
     for  protection  of  state  water  resources.   The Act
     addresses  threats from agricultural  practices,  mining  and
     solid waste.  Pesticide registration fees raised from $25 to
     $75, $25 of which is targeted  for groundwater research.   2)
     SDDA  will  propose  changing   "pesticide  application"  to
     "pesticide use"  in its Pesticide Statute,  so  that FIFRA can
     be  enforced   with  all   label  specification,   not  just
     applications.  3)  Judicial ruling,  effective  July  1,  1989,
     required new facilities involved in mixing pesticides and
fertilizers to conduct mixing,  loading and rinsing over
impervious pad.   Existing facilities have until  Feb.  1, 1992,   ot
comply.
MT:  Legislature passed the "Montana Agricultural Chemical Ground
     Water Protection Act" which directs the Board of Health to
     adopt ground water quality  standards for certain agricultural
     chemicals and directs the Department of Agriculture to develop
     ground water management plans.   The Department of Agriculture
     is  also  to develop  field sampling  and  laboratory quality
     assurance procedures to and to assess administrative civil
     penalties against violators of the act.   The Act is to be
     funded by increases in  pesticide registration  fees by $15 per
     year;, etc.   ;  increase annual pest,  registration fees from
     $50 to $90, and to increase Commercial Applicator and Dealer
     License fees from $35 to $45.
CO:  Sunrise/Sunset  review  proposed  a)  rewriting  Act  to place
     specific   commercial   and  public   pesticide   applicator
     classifications  under  Departmental  authority  and clarifying
     regulatory  scheme;  b)  require  that  all  consumer invoices
     issued by  commercial for hire  applicator companies to state
     that the company is licenced  by CDA; c) require that a co. be
     responsible for training its pesticide applicator technicians;
     d)   expand   the  types   of    notification   Aquatic   and
     ornamental/turf  applicators must provide to include posting
     signs on properties  when the pesticide  is applied; e) other
     recommendations:  provide commissioner with authority to use
     administrative law judges, order civil penalties for
     violations strengthen  enforcement authority when conducting
          investigation of misleading safety claims  by applicators.
PR:  Tribal Pesticide Code passed  by Tribal Council was redrafted.
RB:  Tribe  revised pesticide code.   Revisions  not  mentioned in
     review.
CR:  "Tribal Pesticide Code updated in FY 89 and submitted to EPA
     for final approval long with Applicator Certification Plan.
AZ  (A&H): Az legislature  passed law in May  '89 that established

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          state Dept.  of Ag.  It  will incorporate  many existing
          entities regulating pesticides.  Dept.  of Ag should be
          in place by Jan '91. Worker protection laws passed June
          '89 name authority  with  Industrial  commission.   Points
          and penalty system was adopted Sept.'89
MD:  Maryland began,  in FY 89, the use of the civil penalty as an
     enforcement tool.
VA:  Passage of  new  pesticide  statute.   Virginia  pesticide law
     underwent major  revisions during FY 89.  The new law is a very
     comprehensive statute which  should  significantly strengthen
     the pesticide program in VA.
DC:  The civil infractions law will be revised within a year.
PA:  New pesticide regulations to go with Act  1986-87 are in nearly
     final form.  The regulations will require increased reporting,
     business  licenses,   increased penalties,   as   well  as  the
     certification of many more applicators.
WV:  WVDA is  interested  in  pushing  the current  legislation for
     several changes to the statute and regulations.
KS:  Pesticide and chemigation laws were  both amended  in  FY89.
     (allows the Secretary to establish pesticide management areas
     to reduce the Health and Env. threat of  pesticides  in that
     area)
IA:  Proposed rule to implement ground water protection act  (held
     public  hearing).   Adopted  other  rules  (licence fees for
     dealers, distributors, manufact., pest, regist., standards and
     notification.
AZ (S&P):      new  pest  control  law  passed  July  '88;  needs
               authority to issue minor enforcement actions
HI:  Waiting  for  public hearing  of Pest. regs.  that  are  being
     reviewed by attorney generals office (no details)
Navajo:   Navajo nation's proposed pest.  regs. have been reviewed
          by the tribal attorney's office and EPA project officer.
          The draft  will be submitted to the  resource committee
          for review  and approval.  Tribal  council passed  pest.
          code July '86.
WA:  A House Bill  was adopted in  April  1989.   Provisions of this
     bill that affect the pesticide enforcement program include:
     (1) Change  in licensing fees for pesticide applicators and
     operators;
     (2) A complaint  response time has been established.  Depending
     on  the  seriousness of  the   incident,  a  response will  be
     initiated immediately or within 48 hours;
     (3) Retention time  for  recordkeeping requirements has been
     extended to  seven years for  licensed dealers  and certified
     applicators.  All other persons  applying pesticides to more
     than one acre  of  agricultural  land are  required  to keep
     records for seven years; and
     (4) The maximum  civil penalty has been  raised to $7,500 per
     violation.
 .'::  In 1989 the  Departr  nt  received  significant new au  .orities
     and responsibilitit   in the following areas:
     - civil penalty authority

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ID
- ground water protection legislation
- increased pesticide registration fees
- authority for opening of eastern Oregon field office
- authority for hiring of  additional  inspection and support
  staff
Legislation activities have taken place in Chemigation, which
requires all users who fertilize or apply pesticides through
chemigation systems to be licensed.
     22.  Has the reviewer identified any changes that need to be
made in State lav, regulations or procedures?  Explain.
NY:  Need to amend other parts and make enforceable provisions
KY:  nothing specified  by reviewer, except  that changes  may be
     needed to 217/217b.   The review does not  explain what this
     is.
NCDA:     State says recent amendments to FIFRA may require changes
          to NC's statutes.  The state recordkeeping requirements
          for dealers and applicators are minimal and generally do
          not result in the detection of many violations.11
MS:  Program should vigorously pursue amendments to state statutes
     to include civil penalties
FLDA:     changes in certification examination once EPA promulgates
          new 40 CFR 171 regs.
MI:  MDA has self-imposed deadlines to complete technical standards
     and regs covering the registered technician category and for
     the development of State worker protection  regs.  Develop key
     administrative  rules   for  Bulk   Chemical  Facilities  and
     Chemigation Standards.
AR:  Establish Administrative  Civil Penalties.   The  Division is
     exploring the feasibility of writing regulations to allow an
     administrative civil  penalty.   The use  of  an administrative
     penalty would  make enforcement of the  laws  and regulations
     administered by the Division more effective.
PR:  Certification Plan and Revised Pesticide Code should be moved
     through  the  Tribal,  Dept.  of  Interior  and  EPA  approval
     processes as quickly as possible.
RB:  Need  to  reassess  legislative  needs  as Worker  Protection,
     Endangered Species and groundwater regs become effective.
VI:  Needs to draft  amendments to  pesticide  law.   EPA is looking
     forward to an update on the status of NMDA's submission of the
     administrative civil  penalty  package  to the Governor during
     the FY 90 session.
TX:  Continue   efforts  to   pass    rules   and  regulations   on
     recertification of private applicators.
SO:  amend law to require compliance with all label directions
AZ (S&P): Amend authority to issue minor enforcement actions.
CA:  Revise state plan in accord with 40 CFR changes

STATE PROGRAM NEEDS

     23.   Check  if the review has identified a  need  for  the
following:

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	Inspectional training
HA   enforcement training for new inspector
RI:  "as much enforcement training as EPA has the resources
     available to accommodate.
KY:  additional  training for  Ag.  Non-Ag.  use  inspections  plus
     producer inspections; instruction on report writing for pest
     control officers
AL:  one  on  one  training  of  inspectors   in   field  for  basic
     inspectional  training;   EPA  should   provide  guidance  on
     inspections involving  new initiatives when  final  rules are
     published
NCSPCD:   division   expressed   strong  interest   in  additional
          inspector training.
MS:  inspection and new initiative training and guidance.
FLDA:     basic inspectional training and  one-on-one training of
          new inspectors in the field.
FLDHRS:   training in areas of inspection and the new initiatives
          for  FY  90  of  ground water,  worker  protection  and
          endangered species.
IN:  as much as possible for the new inspectors
MI:  case development
AR:  The State needs  training in toxicity and hazard communication.
     Other training needs include additional help from EPA to aid
     inspectors.
UT:  Inspection and investigation techniques
CO:  Up-to-date inspection and investigative procedures
PR:  Advanced inspector training and case development training
CR:  Basic Inspector  Training, personnel safety, case preparations,
     basic training in pesticide technology
MT:  additional training is needed to improve the effectiveness and
     consistency of the field inspectors;  plus safety procedures;
     groundwater training
Navajo:
WA:  WSDA has expressed the need  for additional training for field
     investigators.
MD:  Need is for additional training of chemists.
VA:  VDACS has  asked for additional help  in  providing inspector
     training in FY 90
NM:  Specialized computer training is  needed in order to get their
     tracking system up  and going.   Also  they have  expressed
     interest in attendinr  SPA pesticide training workshops such
     as Risk Assessment/Decision Making Courses at Region VI.

	Equipment
NY:   needs to upgrade its computer system
AR:  The State  needs to  upgrade their computers with  increased
     memory and  add  the capability to communicate  via  telephone
     with other computers.
OK:  Need for equipment for a GIS.
SD:  resources to improve lab capabilities
MT:  lab equipment
OR:  need for a  computerized tracking system for enforcement cases

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DC:  Inadequate telephone system
DE:  The HPLC is more than 10 years old and is currently down with
     no parts  yet available,  however,  alternative equipment  is
     available until new equipment is purchased.  In addition, DDA
     expects to  formally transfer one chemist to  the pesticides
     section who will do all the pesticide analytical work.

_ Additional personnel
MA:  shortage of personnel due to financial cuts
     need a case  officer,  this position  has  not  been approved by
NH:
the

RI:
VI:
KY:

KS:
ND:
MT:
     legislature
     remains understaffed
     inspector position needs to be filled
     additional  support  to help  update  certification/training
     materials
     needs an inspector
     needs administrative support
     enforcement program in need of a case preparation officer
_ Additional funding
MA:  needs more funding from state  for  personnel  (to make up for
     cuts)
     appears to be underfunded at state level
RI
NY
                                                   of   Hazardous
     needs $s to upgrade computer from  Division
     Substances
LA:  LDAF's major problem is lack of resources.  Presently at their
     staffing ceiling and are unable to hire additional staff.
NM:  Lack of resources  is a definite problem in New  Mexico.   To
     successfully  carry out  the  new grant  activities, NMDA is
     considering paying half the salary of a bilingual AES employee
     to assist in developing publications and training.
TX:  The most pressing  need  at the State  level  is additional or
     more funding in the enforcement program.
CO:  State  complained that EPA establishes  new  programs without
     adequate funding
CR:  More funding needed for secretarial and legal assistance
OR:  Request for increase in laboratory resources
	Other (List)
NCSPCD:   Five EPA inspector Training Manuals.
NCDA:     Strong interest in  EPA  re-establishing a chemistry lab
     for disinfectant testing.  Lack of est. standards has hampered
     state efforts.
          State requesting the APA(?)  provide  some assistance in
     telephone sales complaints which occur from out of state.
AL:  EPA  should provide  guidance on  inspections  involving  new
     initiatives when final rules are published
KY:  Interest  in  EPA  participation  in  commercial  applicator
     training  sessions
MS:  Assistance in building a dept. library of Compliance
     Strategies, Pesticide Registration Notices,  Policy and
     Criteria Notices, etc.
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     Continual regular visits by P.O.s
6A:  clearer guidelines on EPA Compliance Strategies
FLDA:     Additional guidance for the new initiatives for FY 90 of
     groundwater, worker protection and endangered species.
FLDHRS:   continued regular visits by the Project Officer so as to
     keep the SLA "up to speed" on all the varying programs
SC:  certification  training  materials  in  the  special  program
     components in an  electric format as well as  in video form.
     Information regarding the specific endangered  species in SC.
IN:  Better information of suspended/cancelled products from EPA
MI:  case   development,   better   up-to-date   information   on
     suspended/cancelled products from EPA
OH:  "states must be kept better informed by U.S. EPA  as  to the
     status of individual pesticide products.
LA:  State has requested lists of EPA sponsored computer courses,
     particularly workshops and  schedules of  Risk Assessment and
     Decision Making courses.
TX:  SPCB has expressed  interest in attending available training
     workshops put on by EPA.
SD:  EPA reps to provide guidance on developing state groundwater
     protection plan
CO:  Guidance on new initiatives
PR:  Guidance and training on new initiatives
CR:  Procedural changes:   inspector needs secretarial  and legal
     help to spend more time in field
MT:  new tracking system for inspection and enforcement
     activities.
HI:  too many meetings/travel expenses
Colorado River:  Targeted the same facility's operations repeatedly
     during a single quarter. They need a targeting system or NAIS.
Navajo:   Looking to re-evaluate the pest, tech position to allow
          advancement of opportunity
VA:  Help in analyzing  difficult/problem samples  through  the EPA
     Beltsville lab.

REVIEW OF EPA'8 PERFORMANCE

     24.  Were any problems noted in the following  areas?  Provide
details as available.

a) 	 State/Region communication
NCSPCD:   "It is hoped that the managerial changes that are
          currently being made at Region IV will make for a better
          communication between both agencies."
NCDA:  "better line of communication" needed
MS:  slow response of  Region to SFIREG  requests  for training of
     inspectors, case development staff, and
GA:  "It was strongly suggested that a better line of communication
     £>e established  between the  Regional office  of EPA  and the
     states."
Az (S&P)
VA:  VDACS continues to express concern over the lack of feedback

                                42

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     from other EPA Regions on referrals sent to them and from poor
     responsiveness to inquires from other Regions.
PA:  PA is concerned about the notification of the ongoing training
     of inspectors that comes  from EPA.   These sessions normally
     occur each  year  in the  fall.   The  only  complaint involves
     notices/advisories which sometime come late from Washington.
DE:  They  also  feel  that EPA should  not  announce  anticipated
     publication dates for new rules, etc., because it forces the
     States to make commitments which usually are not met because
     EPA delays/postpones the target date.
IN:  Better information of suspended/cancelled products from EPA
b) 	 EPA training
c) 	 EPA Guidance
?:   "States must be  kept  better informed by U.S. EPA  as to the
     status of individual pesticide products."
SD:  expressed need for more timely provision of grant guidance
MT:  lack of  Adequate EPA FIFRA  and RCRA guidance  has deterred
     effective  response  to  potentially  serious  environmental
     problems.   It seems that  current label directions  on wood
     preservative products are too vague to prevent continued soil
     and water  contamination...  Improved labeling would enhance
     enforcement efforts.

d) 	 EPA Financial Assistance
TX:  Delays in receiving grant funds.
ND:  ND's  success in  obtaining  matching funds  from  the  state
     legislature has prevented them  from  receiving federal funds
     in the  past.  The  Program  Director  expressed  apprehension
     state funds could expire before the plan is enacted unless the
     Agency accelerates the approval process.
NV:   for cert, and train
DE:  DDA has expressed concern over the slow congressional budget
     process.
e) 	 EPA Compliance Monitoring Strategies
f) 	 Other:
KY:  KDA was pleased with the  support  provided by EPA this year.
AL:  "ADAI was pleased with the support and communication provided
     by EPA during FY 89.
MS:  Pleased with the support and improved communicating provided
     by EPA during FY 89.
SC:  Dept. "appreciative of the priority given to the CEAs by the
     Region."
UT:  "No formal review of EPA's performance has been conducted to
     date."
SD:  requested that EPA assess Section 18 review process.  Approval
     for state exemptions should be faster.
ND:  Program Director frustrated  with  55  gallon  minimum for bulk
     containers;  also  frustrated with   2,4-D  pad  requirement;
     expressed  concern  over  slowness  of  Sec.  18  approvals;
     disappointed  with  cancellation  of  EBDC  as  potato  seed
     treatment and of aerial applications to potatoes.
CO:  EPA should re-evaluate Sec. 18 application procedures:  "too

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     cumbersome."
OR:  EPA should acknowledge that the  State contributes more than
     what is reflected in the present reporting system.  EPA should
     work with AAPCO to develop  such a reporting system for "State
     only" activity.

RECOMMENDATIONS

     25. List the major recommendations given by the EPA Regional
reviewer.
ME:  No major issues or concerns were mentioned
NH:  Needs a case reviewer officer.
VT:  none given in review
PR   Discussions with management of PR Dept. of Ag concerning poor
     inspection program
NY   The regional  office  will review sample  jackets  and conduct
     join inspections
NJ   No major issues or concerns mentioned in the letter
VI:  Needs to draft amendments to pesticide law; Needs to maintain
     full  inspector  position;   and  needs  experience  in  case
     deve1opment
KY:  1) Examine  lab  support and arrangements; 2)  Continue field
     training of inspectors to reinforce classroom training.
AL:  1) Hire additional inspector;  2)  EPA should provide guidance
     on inspections involving  new initiatives when final rules are
     published.
NCSPCD:   1)  Consider sending  the inspectors  to any  pesticide
     enforcement training that may be offered in the Region by EPA;
     2) EPA should assist in the development of training material
     and training programs to assist the field inspectors.
NCDA:     none given
MS:  1) Program should establish a single set of criteria for
     conducting State and EPA inspections; 2)  Program should
     vigorously pursue amendments to state statutes to include
     ci  1 penalties
TN:  1}  amine the tracking procedures used by the Pest Control
     Sev~ion...  A mechanism should also be developed to record the
     enforcement actions taken  on  inspections and investigations
     conducted in  earlier quarters.   2)  Consider  the adoption of
     uniform inspectional procedures and reporting formats; 3)
     Update ERP.
GA:  1)  Review   more  closely   Inspection   reports   to  ensure
     consistency  in  the  use  of  site  diagrams,   photographs,
     collection of documentary  samples  when appropriate,  and the
     identification of these documents would be referenced properly
     in the narrative report; 2)  Consider filling an administrative
     vacancy or create new manager positions in  the  Division of
     work  so as  to  improve  on the  overall  efficiency of  the
     enforcement program.
FLDA:     no recommendations given in review
FLDHRS:   no recommendations given in review
SC:  consider  the  use  of documentary samples  as  defined  in

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     Inspector's Manual; 2)  consider discontinuing the use of the
     Miranda Warning of affidavit forms.
MN:  1) Enforcement outputs should be tabulated  on a more timely
     basis;  2)   an  updated  and  maintained list  of  formulated
     products for which analytical methods do not exist should be
     kept routinely  and provided to  field staff; 3)  lab should
     complete revision  of QA  plan by 3/31/90;  4)  Remind field
     inspectors in writing to furnish product labeling
     documentation.
IN:  1)  improve  the  quality  and  reliability  of  their  data
     management system as soon  as  possible;  2) increase the number
     of PEI  inspections  projected for FY 90; 3)  provide as much
  %  training to their new inspectors as  they can.
MI:  1)  Improve comprehensive  and  objective  inspectional  case
     development.   Quality  of  inspection documentation should
     continue to be improve;  2)  begin documenting,  in writing,
     sample integrity and sample custody;  3)  continuing maintaining
     the new Lab QAPP as a comprehensive  and dynamic document; 4)
     continue revising and updating C&T materials; 5) Amend ERP.
OH:  1) Continue to participate on the different task forces and
     work with  the  other Ohio Agencies  involved  in ground water
     protection;  2)  send  all   enforcement  correspondence  by
     certified  mail;  3)  submit quarterly  number  reports on the
     existing 5700-33H form.
WI:  1)provide  necessary guidance to inspectors  on establishing
     comprehensive and objective inspectional case  files;  2) bring
     PETS system into operation; 3) revise the lab's QAPP
IL:  1) Revise  receipt  of sample forms  to  indicate if pesticide
     samples were obtained  from pesticides or from devices that
     were packaged,  labeled  and released  for shipment; 2) continue
     to  work with  EPA  targeting  producer inspections;  3)  labs
     should  complete  review and  revision  of QA plan;  4) assure
     completion of automated data management system.
LA:  (1)  The SLA's reluctance to report ALL of  their inspection
          outputs is a problem to  EPA.  They report just enough to
          meet their grant commitments. Louisiana is the only Sate
          in the Region that does not give EPA all of  their numbers
          and, therefore, an overall view of the state's progress
          compared to other States is somewhat  incomplete.   EPA
          strongly  recommends  that LDAF report  all inspectional
          outputs.
     (2)  LDAF still has not finalized their Enforcement Response
          Policy and approved the draft Violation/Penalty matrix.
          This has been  an  ongoing problem and EPA has addressed
          its importance since 1986.
     (3)  EPA  suggests  that a designated  holding  area  be made
          available  and  responsible  staff  be  educated regarding
          proper handling of  (pesticides)  chemicals for the well
          being of all employees.
     (4)  Further clarification is needed in the area of stop sales
          and   releases   of  suspended   or  cancelled  pesticide
          products.

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NM:  (1)  EPA recommends that the SLA get a computerized tracking
          system  on line  soon  since  their  manual tracking  is
          obviously deficient.
     (2)  EPA is  looking forward to ar  update on  the  status  of
          NMDA's  submission  of the administrative  civil penalty
          package to the Governor during the FY 90 session.
     (3)  Recommended that the Laboratory provide a more detailed
          Annual Quality Assurance Report in FY 90.
AR:  (1)  Need  to  upgrade  computers.    Two  computer  software
          programs, dbase III and WordPerfect  5.0, to be purchased
          to allow  capability and direct communication  with EPA
          computers.
      (2) The State should review the present Enforcement Response
          Policy and make revisions as necessary.
      (3) The State should begin an aggressive enforcement program
          to track violations  and take  enforcement actions  on
          multiple  violators,  and establish Administrative Civil
          Penalties.
      (4) Improve the quality of investigations so that a copy of
          the product label is included in each use/misuse (follow-
          up) investigation.

TX:  (1)  Continue  efforts  to  pass  rules and  regulations  on
          recertification of private applicators.
     (2)  violations need to  be  reported  at  the  site of  the
          inspections.
OK:  No major recommendations, review satisfactory.
KS:  KSBA  and  EPA  need  to   continue  to  work  together on  new
     initiatives, i.e., g.w., e.s.,...
IA:  State exceeded 30  day time limit on initiating an enforcement
     action;  conduct  sample  analysis  within  45  days;  submit
     inspection reports within 20 days; use  part-time  of  field
     inspector to review cases.
UT:  1)   Develop  new  priority-setting   plan;   2)   Develop  and
     implement new  file  review  process  and tracking system;  3)
     review protocol to  assess penalties  and  better organize and
     document  procedures for following penalty matrix; 4) lab must
     modify procedure; 5)Improve communication  between  different
     program and project staff members;
ND:  1)  Attempt to  obtain administrative  assistance;  2)  Increase
     training and supervisory review of field inspectors to improve
     quality of inspectors and case records; 3)  Improve files and
     develop tracking  system;  4)  Implement policy  of  obtaining
     labels  from Registration  Division;  5)  Continue to  refine
     penalty  matrix;  6)  Accelerate  planning  of  NDDA  role  in
     groundwater pesticide activities if  NDDA plans to  apply for
     g.w. monies.
SD:  1)   Strive to  develop working relationship between SDDA and
     Extension; 2)  amend law to require compliance with all label
     directions;  3) develop and institute  non-graded exam into
     private  applicator  training;  4)     work  to  improve  lab
     capabilities and  implement sample preservation and  chain of

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     custody procedures;  5)   lobby for back-up legal  support to
     avoid case delays.
CO:  State lab  needs to continue  to  interact with EPA  and KEIC
     personnel to resolve problems of documentation.
PR:  1)  Continue  to  emphasize   Ag.   use   and  structural  use
     inspections; 2) Hove Cert. Plan  through;  3)  Continue clean-
     up of  zinc phosphate; 4)  Inspector should  attend  advanced
     inspector training course in conjunction with case development
     training course.
RB:  1) Increase number  of tribally  certified applicators;  2)
     Improve inspection quantity and quality; 3) Inspection should
     arrange to  spend  one week  conducting  inspections with state
     inspector.
CR:  1) Inspector  should spend as much time as possible  in the
     field  conducting  inspections   and  making   contact  with
     Reservation applicators; 2) Budget should include part-time
     secretary; 3) Training for new officer; 4)  Arrangements for
     legal assistance should be made.
NT:  1) The  EMD  should  work  to   improve  the documentation and
     tracking of routine  inspections.  2) The EMD should finalize
     an enforcement response policy.   3) The EMD should consider
     realignment of the Field Services Bureau to assure continued
     expeditious resolution of cases;  4) the laboratory equipment
     needs of the EMD should be prioritized and formally presented
     to EPA; 5)  revision of the applicator  training  manuals and
     exams as new programs develop should be a priority.
AZ (A&H):  EPA  and CAH  re-examine  state  practices of  reporting
          agricultural pesticide use inspection activity to include
          both  state  and  fed  funded inspections;  CAH  should
          institute  a  penalty  worksheet  with   rational  and
          documentation  of  proceedings  CAH  should continue  to
          coordinate   and  finalize   (where  appropriate)   its
          interaction with other agencies to avoid duplication of
          effort.
AZ (S&P):  Amend authority to issue minor enforcement actions; Amend
          data base to track fed use violations
CA:  Shift some resources for Ag use inspections to  other areas to
     ensure  commitments  are  met;  Properly  report  follow  up
     inspection.  Decrease time between completion of investigation
     and submissions to EPA; Revise state plan in accord with 40
     CFR  changes;  Continue reviewing "goldenrod" process  for
     private applicators
HI:  Case project officer will track and target inspections
     for those areas that are not being met.
NV:  Training for new and old inspectors; Files denote either Fed
     violation or state violation; Apply for C&T funds
ITCA:     Should carefully track inspectional activities for each
          tribe  and  re-negotiate   if  projections cannot  be met.
          Develop mechanism so  that the program can  continue while
          new inspections are being trained.   Colorado River Indian
          Tribes:  The number of Ag-use inspections should be re-
          evaluated  or inspectional  activities should be spread

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          equally over the entire year so that the projected number
          of  inspections  are  accomplished  in  all  categories;
          inspection   summary  reports   should   contain  brief
          narratives describing the kind of activities taking place
          during the inspection; set up tracking  system  or NAIS to
          better target  its  inspections  over the entire year and
          avoid inspecting the same facilities or operations over
          a short period of time.  Quechan Tribe:  Work with ITCA
          to more carefully target inspections towards Non-ag and
          certified  applicator  records   categories.    Inspector
          should gain more inspectional experience by participating
          in training courses and conducting inspections  with other
          tribal inspectors.   Cocopah tribe:    ITCA  should work
          closely with the new inspector to familiarize him with.
          program and identify training opportunities.
WA:  It is expected that with the reorganization now complete and
     new employees hired,  that enforcement issues  will  be looked
     at more closely and possibly  resolved.  Discrepancies noted
     in the  inspection  reports  should be  followed up  with the
     investigators  and  missing or  delinquent  cases   should  be
     produced.  All investigation reports should be  reviewed by the
     field supervisors prior to being finalized.
AK:  Not addressed in the report.
OR:  As resources are added for pesticide  analysis, the timeliness
     of analysis should be evaluated to asses the impact of those
     additional resources.   Because  of the increased role of the
     Oregon  Operations  Office,  additional coordination  effort
     within the Region will  be needed  to define detailed program
     responsibilities.
ID:  Recommendations include reevaluation of the State's penalty
     matrix, and better communication on product violations.
MD:  Concern is that residue  sample analysis has  fallen behind and
     created a  "backlog".   Also need  for additional training of
     chemists.
VA:  Laboratory performance seriously below acceptable standards.
DC:  None made in the report.
PA:  Inspectors handle  a  large number of programs and remember many
     laws.  The move  toward more specialization may help a little.
WV:  Improvements needed on inspection procedures by the State.
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