United States       Prevention, Pesticides     EPA 738-R-07-005
Environmental Protection    and Toxic Substances     March 2007
            (7508P)
Reregistration
Eligibility Decision for
Rotenone

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REREGISTRATION ELIGIBILITY

           DECISION

               for

            Rotcnone

              List A
          Case No. 0255
                Approved by:
                  MA   p         /
                   1 U   >  t       A
                  <'xcci fct r 0L>
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Table of Contents

I.   Introduction	7
II.    Chemical Overview	7
  A.  Regulatory History	8
  B.  Chemical Identification and Nomenclature	9
  C.  Use Profile	9
III.   Summary of Risk Assessments	10
  A.  Human Health Risk Assessment	11
    1.  Toxicity Profile	11
    2.  Metabolites and Degradates	13
    3.  Dietary Risk	13
    4.  Residential and Recreational Risk	15
    5.  Aggregate Risk	17
    6.  Occupational Risk	17
    7.  Human Incident Data	21
  B.  Ecological Risk Assessment	21
    1.  Environmental Fate and Transport	21
    2.  Ecological Exposure and Risk	21
    3.  Ecological Incidents	25
    4.  Endangered Species	26
IV.   Risk Management and Reregistration Eligibility Decisions	26
  A.  Determination of Reregistration Eligibility	26
  B.  Requirements for Reregistration	27
    1.  Required Data	27
    2.  Risk Mitigation Measures	27
    3.  Product Label Updates	30
    4.  Confidential Statement of Formula	30
  C.  Regulatory Rationale	31
    1.  Benefits and Alternatives	31
    2.  Human Health and Ecological Risk	32
    3.  Endocrine Screening	32
V.  What Registrants Need to Do	33
  A.  Manufacturing Use Products	33
    1.  Generic Data Requirements	33
    2.  Confidential Statement of Formula	33
    3.  Labeling for Technical Products	33
  B.  End-Use Products	34
    1.  Product-Specific Data Requirements	34
    2.  Confidential Statement of Formula	34
    3.  Labeling for End-Use Products	34

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Rotenone Reregistration Eligibility Decision Team

Office of Pesticide Programs

Biological and Economic Analysis Assessment
       Nicole Zinn
       Monisha Kaul
       Alan Halvorson
       Steve Jarboe
       Timothy Kiely
       Andrew Lee
       Jihad Alsadek
       Bill Gross
       Nikhil Mallampalli

Environmental Fate and Effects Risk Assessment
       R. David Jones
       Thomas Steeger
       Elizabeth Behl

Health Effects Risk Assessment
       Charles Smith
       Elissa Reaves
       Yvonne Barnes
       Toiya Goodlow
       Sherrie  Kinard
       Diana Locke
       Bill Hazel

Registration Support
       Dan Peacock
       John Hebert

Risk Management
       Lance Wormell
       Katie Hall
       Diane Isbell
       DirkHelder
       Margaret Rice

Office of General Counsel
       Erin Koch
       Michele Knorr

United States  Department of Agriculture
       Ted Rogers

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Glossary of Terms and Abbreviations

a.i.             Active Ingredient
aPAD          Acute Population Adjusted Dose
APHIS         Animal and Plant Health Inspection Service
ARTF          Agricultural Re-entry Task Force
BCF           Bioconcentration Factor
CDC           Centers for Disease Control
CDPR          California Department of Pesticide Regulation
CFR           Code of Federal Regulations
ChEI           Cholinesterase Inhibition
CMBS         Carbamate Market Basket Survey
cPAD          Chronic Population Adjusted Dose
CSFII          USDA Continuing Surveys for Food Intake by Individuals
CWS           Community Water System
DCI           Data Call-in
DEEM         Dietary Exposure Evaluation Model
DL            Double layer clothing {i.e., coveralls over SL}
DWLOC       Drinking Water Level of Comparison
EC            Emulsifiable Concentrate Formulation
EDSP          Endocrine Disrupter Screening Program
EDSTAC       Endocrine Disrupter Screening and Testing Advisory Committee
EEC           Estimated Environmental Concentration. The estimated pesticide concentration in an
               environment, such as a terrestrial ecosystem.
EP             End-Use Product
EPA           U.S. Environmental Protection Agency
EXAMS       Tier II Surface Water Computer Model
FDA           Food and Drug Administration
FFDCA        Federal Food, Drug, and Cosmetic Act
FIFRA         Federal Insecticide, Fungicide, and Rodenticide Act
FOB           Functional Observation Battery
FQPA          Food Quality Protection Act
FR            Federal Register
GL            With gloves
GPS           Global Positioning System
HIARC        Hazard Identification Assessment Review Committee
IDFS           Incident Data System
IGR           Insect Growth Regulator
IPM           Integrated Pest Management
RED           Reregistration Eligibility Decision
LADD         Lifetime Average Daily Dose
LC50           Median Lethal Concentration. Statistically  derived concentration of a substance expected
               to cause death in 50% of test animals, usually expressed as the weight of substance per
               weight or volume of water, air or feed, e.g., mg/1, mg/kg or ppm.
LCO           Lawn Care Operator
LD50           Median Lethal Dose. Statistically derived single dose causing death in 50% of the test
               animals when administered by the route indicated (oral, dermal, inhalation), expressed as a
               weight of substance per unit weight of animal, e.g., mg/kg.
LOAEC        Lowest Observed Adverse Effect Concentration
LOAEL        Lowest Observed Adverse Effect Level
LOC           Level of Concern
LOEC          Lowest Observed Effect Concentration
mg/kg/day      Milligram Per Kilogram Per Day
MOE          Margin of Exposure
MP            Manufacturing-Use Product

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MRID          Master Record Identification (number). EPA's system of recording and tracking studies
                submitted.
MRL           Maximum Residue Level
N/A            Not Applicable
NASS          National Agricultural Statistical Service
NAWQA        USGS National Water Quality Assessment
NG             No Gloves
NMFS          National Marine Fisheries Service
NOAEC         No Observed Adverse Effect Concentration
NOAEL         No Observed Adverse Effect Level
NPIC           National Pesticide Information Center
NR             No respirator
OP             Organophosphorus
OPP            EPA Office of Pesticide Programs
ORETF         Outdoor Residential Exposure Task Force
PAD            Population Adjusted Dose
PCA            Percent Crop Area
PDCI           Product Specific Data Call-In
POP            USDA Pesticide Data Program
PF10           Protections factor  10 respirator
PF5             Protection factor 5 respirator
PHED          Pesticide Handler's Exposure Data
PHI             Preharvest Interval
PIS             Primary Irritation Score
ppb             Parts Per Billion (ug/L; micrograms per liter)
PPE            Personal Protective Equipment
PRZM          Pesticide Root Zone Model
RBC            Red Blood Cell
RED            Reregistration Eligibility Decision
REI             Restricted Entry Interval
RfD            Reference Dose
RPA            Reasonable and Prudent Alternatives
RPM           Reasonable and Prudent Measures
RQ             Risk Quotient
RTU            (Ready-to-use)
RUP            Restricted Use Pesticide
SCI-GROW     Tier I Ground Water Computer Model
SF              Safety Factor
SL              Single layer clothing
SLN            Special Local Need (Registrations Under Section 24(c) of FIFRA)
STORET        Storage and Retrieval
TEP            Typical End-Use Product
TGAI           Technical Grade Active Ingredient
TRAC          Tolerance Reassessment Advisory Committee
TTRS           Transferable Turf Residues
UF             Uncertainty Factor
USDA          United States Department of Agriculture
USFWS         United States Fish and Wildlife Service
USGS          United States Geological Survey
WPS            Worker Protection Standard

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I.  Introduction

       The Federal Insecticide, Fungicide, and Rodenticide Act (FIFRA) was amended
in 1988 to accelerate the reregi strati on of products with active ingredients registered prior
to November 1, 1984, and amended again by the Food Quality Protection Act of 1996
(FQPA) and the Pesticide Registration Improvement Act of 2003 (PRIA) to set time
frames for the issuance of Reregistration Eligibility Decisions.  FIFRA calls for the
development and submission of data to support the reregi strati on of an active ingredient,
as well as a review of all data submitted to the U.S. Environmental Protection Agency
(EPA or "the Agency").  Reregi strati on involves a thorough review of the scientific
database underlying a pesticide's registration.  The purpose of the Agency's review is to
reassess the potential hazards arising from the currently registered uses of a pesticide, to
determine the need for additional data on health and environmental effects, and to
determine whether or not the pesticide meets the "no unreasonable adverse effects"
criteria of FIFRA.

       The Agency  made its reregi strati on eligibility determination (RED) for rotenone
based on the required data, the current guidelines for conducting acceptable studies to
generate such data, and published scientific literature.  The Agency has found that
currently registered piscicidal (fish-kill) uses of rotenone are eligible for reregi strati on
provided the requirements for reregi strati on identified in the RED are implemented. In
March and April 2006, registrants requested voluntarily cancellation of all livestock,
residential and home owner uses, domestic pet uses, and all other uses except for
piscicide uses. In July 2006, EPA issued its "Report of the Food Quality Protection Act
(FQPA) Tolerance Reassessment Progress and Risk Management Decision (TRED)" in
which the Agency indicated its intent to revoke the three tolerance exemptions for
rotenone (40 CFR 180.905).

       This document consists of six sections: Section I contains the regulatory
framework for reregi strati on reassessment; Section II provides an overview of the
chemical, including  a profile of its use and usage; Section III gives an  overview of the
human health and ecological risk assessments; Section IV presents the Agency's
reregi strati on eligibility and risk management decisions; Section V summarizes label
changes necessary to implement the risk mitigation measures outlined in Section IV; and
Section VI includes  the appendices, related supporting documents, and Data Call-In
(DCI) information.  The revised risk assessment documents and related addenda are not
included in this document, but are available in the Public Docket at
http://www.regulations.gov in docket number EPA-HQ-OPP-2005-0494.

II. Chemical Overview

       Rotenone, or(6R, 6aS, 12aS)-l,2,6,6a,12,12a-hexahydro-2-isopropenyl-8,9-
dimethoxychromenyl[3,4- bfuro[2,3-h]chromen-6-one, is a botanical pesticide registered
by EPA for piscicidal (fish kill) uses. The chemical is related to isoflavonoid compounds
derived from the roots of Derris spp., Lonchocarpus spp., and Tephrosia spp.,  found
primarily in Southeast Asia, South America, and East Africa, respectively. Rotenone has

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three chiral centers, and thus has a complex stereochemistry. Other plant flavonoids
(rotenoloids) that are similarly structured to rotenone are also contained in the plants
from which rotenone is extracted.  Formulated end-use products of rotenone may have
varying amounts of "cube root extractables" containing rotenoloids. Rotenone products
are classified as Restricted Use Pesticides (RUP) due to acute inhalation, acute oral, and
aquatic toxicity.  Table 1 presents the three chemical groups in case number 0255.

Table 1.  Ingredients in Chemical Case 0255
PC Code
071001
071003
071004
Chemical Name
Derris resins other than rotenone
Rotenone
Cube resins other than rotenone
CAS Number
—
83-79-4
~
       A. Regulatory History

       Rotenone was first registered in the U.S. in 1947. The Registration Standard and
associated data call-ins (DCI) were issued for rotenone in October 1988. Another DCI
was issued in October 1995 requiring a foliar residue dissipation study, and dermal and
inhalation passive dosimetry studies.  A third DCI was issued in February 2004 requiring
a sub-chronic (28-day) inhalation neurotoxicity study.  This sub-chronic inhalation study
was required to further investigate the results of independent studies in animals at very
high doses that led to Parkinson's Disease-like symptoms. At the time the study was
required, rotenone had registered uses for dust products in agricultural and residential
settings which were of particular concern for inhalation exposure.  Because all non-RUP
agricultural and residential uses, and all food uses were voluntarily cancelled in 2006,
this requirement has been waived.  Further, as a result of this RED, additional personal
protective equipment (PPE) including respiratory protection will be required for all
remaining uses. However, using the existing database, EPA cannot quantitatively asses a
potentially critical effect (neurotoxicity) at doses to which rotenone users could be
exposed; therefore, an additional lOx database uncertainty factor has been applied.

       There are currently three manufacturing-use product registrants: Prentiss
Incorporated, Foreign Domestic Chemicals Corporation, and Tifa International LLC.  In
letters dated March 7, 2006 (Prentiss), March 17, 2006 (Foreign Domestic), and April 5,
2006 (Tifa), registrants requested voluntarily cancellation of all livestock, residential,  and
home owner uses, domestic pet uses,  and all other uses except for piscicide uses in
accordance with Section 6(f) of FIFRA. EPA provided a public comment period for the
use deletions from  June 7, 2006 to July 7, 2006 (EPA-HQ-OPP-2005-0494; FRL-
8071-1) and no substantive comment was received; therefore, the associated tolerance
exemptions will be revoked. The piscicidal uses are the only uses supported for
reregi strati on and the only uses discussed in this RED.

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       B. Chemical Identification and Nomenclature
Table 2.
 PC Code:
 Common name:
 Chemical structure:
 Molecular Formula:
 IUPAC name:

 Chemical Class:

 CAS#

       C. Use Profile

Type of Pesticide:

Summary of Use:
Target Organisms:

Mode of Action:
 071003
 Rotenone
 C23 H22 Oe
 2R,6aS,12aS)-l,2,6,6a,12,12a-hexahydro-2-isopropenyl-8,9-
 dimethoxychromeno[3,4-b]furo[2,3-h]chromen-6-one
 Rotenoid

 83-79-4
Piscicide.

Rotenone is applied directly to water to manage fish
populations in lakes, ponds, reservoirs, rivers, streams, and
in aquaculture. The chemical can be applied to an entire
water body to achieve a "complete kill" or to a portion of a
water body to achieve a "partial kill." Complete kills are
used to eliminate all fish in the treatment area; partial kills
are used to reduce or sample fish populations in the
treatment area.

Undesired fish species.

Rotenone acts through uncoupling oxidative
phosphorylation within cell mitochondria by blocking
electron transport at complex I.
Tolerances:
No tolerance exists for the piscicidal uses of rotenone.

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Use Classification:



Formulations:

Methods of Application:
Use rates:
Application Timing:
Annual usage:
Rotenone products are classified as Restricted Use
Pesticides due to acute inhalation, acute oral, and aquatic
toxicity.

Liquid, wettable powder.

Applications are made with helicopters and boats in lakes,
reservoirs, and ponds; with direct metering into moving
water such as streams; and with hand-held equipment such
as backpack sprayers in difficult-to-reach aquatic areas.

Labels evaluated in this RED allow rotenone to be applied
to achieve treatment concentrations up to 50 parts per
billion (ppb) in streams/rivers and up to 250 ppb in
lakes/reservoirs/ponds.

Rotenone may be applied at any time of year. Fish
management program applications typically occur during
warm months because the compound degrades more
rapidly in warm water than cold water.  Aquaculture
applications typically occur during the spring prior to
stocking.

Annual usage data for piscicidal applications are not
available.
III. Summary of Risk Assessments

       This section summarizes EPA's human health and ecological risk conclusions for
rotenone to help the reader better understand EPA's risk management decisions.  The full
risk assessments and related supporting documents are available at
httEI/ZBgOJiLreg^          in docket number EPA-HQ-OPP-2005-0494. EPA's human
health and ecological risk assessments were updated based on comments received during
the May 2006 public comment period.

       Where possible, EPA relied on maximum labeled application concentrations to
estimate exposure in its human health and ecological risk assessments. Although some
rotenone labels permit application concentrations up to 250 ppb in lakes/reservoirs/ponds,
the solubility limit of rotenone is 200 ppb.  That is, in a water body treated to achieve a
maximum concentration of 200 ppb, any additional rotenone would not further increase
the concentration available for exposure. Therefore, except for occupational exposure,
EPA estimated human health and ecological exposure based on rotenone's solubility limit
of 200 ppb. Because the maximum labeled concentration could result in higher
occupational risk, EPA estimated occupational exposure using both the maximum labeled
concentration (250  ppb) and rotenone's solubility limit (200 ppb). As required by this
                                       10

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RED, labels must be updated to reflect rotenone's solubility limit as the maximum
application concentration of 200 ppb (see Section IV).

       A. Human Health Risk Assessment

       EPA conducted a human health risk assessment for rotenone to support the
reregi strati on eligibility decision. EPA evaluated the submitted toxicology, product and
residue chemistry, and occupational/residential exposure studies as well as available open
literature and determined that the data are adequate to support a reregi strati on eligibility
decision for the piscicidal use.

              1.   Toxicity Profile

       Toxicity assessments estimate to what degree a pesticide could cause adverse health
effects in humans and the level or dose at which such effects could occur. EPA evaluates
acute, short and intermediate term, and chronic effects.

                     a) Acute Toxicity Profile
       Rotenone has high acute toxicity via the oral and inhalation routes of exposure
(Category I) and low acute toxicity via the dermal route of exposure (Category IV).
Rotenone is not an eye or skin irritant nor is it a skin sensitizer.  Table 3 presents the
acute toxicity profile for rotenone.

TableS.  Acute Toxicity Profile
Guideline
Number
870.1100
870.1200
870.1300
870.2400
870.2500
870.2600
Study Title
Acute oral [rat]
Acute dermal [rabbit]
Acute inhalation [rat]
Acute eye irritation
[rabbit]
Acute dermal irritation
[rabbit]
Skin sensitization
[guinea pig]
MRID
00145496
43907501
42153701
42076203
42076204
42153702
Results
LD50=102mg/kg(M)
LD50 = 39.5 mg/kg (F)
LD50>5000 mg/kg
LC50 = 0.0212mg/L
(combined)
LC50 = 0.0235 mg/L (M)
LC50 = 0.0194 mg/L(F)
PIS = 3.3 at 1 hr, cleared less
than 24 hrs.
PIS = 0.08 at Ihr which
decreased to 0 at 72 hours
Not a dermal sensitizer
Toxicity
Category
I
IV
I
IV
IV
NA
LD50 = Median Lethal Dose; PIS = primary irritation score
                                         11

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                              b)  Completeness of Database

               The toxicological database for rotenone is adequate to support a reregi strati on
        eligibility decision. However, using the existing database, EPA cannot quantitatively
        asses a potentially critical effect (neurotoxicity) at doses to which rotenone users could be
        exposed.  Therefore, an additional lOx database uncertainty factor - in addition to the
        inter-species (lOx) uncertainty factor and intra-species (lOx) uncertainty factor - has
        been applied to protect against potential human health effects and the target margin of
        exposure (MOE) is 1000.

                              c)  Toxicological Endpoints

               The toxicological endpoints used in the human health risk assessment for rotenone are
        presented in Table 4.  Dermal absorption was estimated using a fluazifop-butyl dermal
        absorption study. Fluazifop-butyl has a dermal absorption factor of 9% and is a structurally
        related analog based on molecular weight. Based on a structure activity relationship and
        human dermal information, the estimated dermal absorption of rotenone is 10%. For
        inhalation absorption, a default factor of 100% was used.
        Table 4. Summary of Rotenone Toxicological Endpoints
Exposure
Scenario
Dose Used in Risk Assessment, Uncertainty
Factor (UF)	
Level of Concern for
Risk Assessment
Study and Toxicological
Effects
Acute Dietary
(females 13-49)
NOAEL = 15 mg/kg/day

UF =1000

aRfD = 15 mg/kg/dav = 0.015 mg/kg/day
         1000
                                                         Acute PAD =

                                                         0.015 mg/kg/day
                        Developmental toxicity study
                        in mouse (MRID 00141707,
                        00145049)

                        LOAEL = 24 mg/kg/day
                        based on increased resorptions
Acute Dietary
(all populations)
An appropriate endpoint attributable to a single dose was not identified in the available studies, including the
developmental toxicity studies.	
Chronic Dietary
(all populations)
NOAEL = 0.375 mg/kg/day

UF =1000

cRfD = 0.375 mg/kg/dav = 0.0004 mg/kg/day
         1000
                                                         Chronic PAD =
                                                         0.0004 mg/kg/day
                        Chronic/oncogenicity study in
                        rat (MRID 0015673 9,
                        41657101)

                        LOAEL =1.9 mg/kg/day
                        based on decreased body
                        weight and food consumption
                        in both males and females
Incidental Oral
Short-term (1-30
days)
Intermediate-
term
(1-6 months)
NOAEL = 0.5 mg/kg/day
                                        Residential MOE = 1000
                        Reproductive toxicity study in
                        rat (MRID 00141408)

                        LOAEL = 2.4/3.0 mg/kg/day
                        [M/F] based on decreased
                        parental (male and female)
                        body weight and body weight
                        gain	
Dermal
Short-,
Intermediate-,
and Long-Term
NOAEL = 0.5 mg/kg/day
10% dermal absorption factor
Residential MOE = 1000

Worker MOE =1000
Reproductive toxicity study in
rat (MRID 00141408)

LOAEL = 2.4/3.0 mg/kg/day
                                                   12

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Exposure
Scenario
Inhalation
Short-term (1-30
days)
Intermediate-
term
(1-6 months)
Cancer (oral,
dermal,
inhalation)
Dose Used in Risk Assessment, Uncertainty
Factor (UF)
NOAEL = 0.5 mg/kg/day
100% inhalation absorption factor
Level of Concern for
Risk Assessment
Residential MOE = 1000
Worker MOE= 1000
Study and Toxicological
Effects
[M/F] based on decreased
parental (male and female)
body weight and body weight
gain
Classification: No evidence of carcinogenicity
UF = uncertainty factor, NOAEL = no observed adverse effect level, LOAEL = lowest observed adverse
effect level, aPAD = acute population adjusted dose, cPAD = chronic population adjusted does, RfD =
reference dose, MOE = margin of exposure, NA = Not Applicable

              2.  Metabolites and Degradates

       EPA reviewed the metabolism of rotenone and concluded that there are
degradation products including rotenoloids which occur in plants from which rotenone is
obtained and in varying amounts in end-use rotenone products.  Based on structural
similarities, EPA believes that  degradation products are no more toxic than rotenone.
              3.  Dietary Risk

       EPA estimated acute dietary exposure through food and water from the piscicidal
uses of rotenone.  The acute dietary risk assessment considered only the population
subgroup "females 13-49 years old" because an appropriate endpoint for this subgroup
was available from a developmental toxicity study in rat. No acute dietary endpoint
could be identified for the general population because other effects attributable to a single
dose were not observed in the available toxicity studies. The chronic dietary risk
assessment considered drinking water for the general population and various population
subgroups. The chronic assessment only considered drinking water because chronic
exposure from food (consumption of treated fish) is not expected based on rotenone's
generally rapid degradation and low propensity to bioaccumulate in fish.

                    a)  Acute Dietary Risk (Food and Drinking Water)

       An acute dietary exposure assessment was performed for rotenone in food and
drinking water.

       Acute exposure estimates considered residues in fish from the piscicidal use in
fish management applications only. EPA did not consider exposure to rotenone from
aquaculture uses because the chemical is applied to ponds prior to stocking to eliminate
undesirable fish species that would otherwise compete with the fingerlings. These
applications typically occur in the spring prior to stocking of a new "crop" of food fish.
Because the Agency is requiring rotenone levels to be below the level of detection prior
to fingerling stocking, residues in fish are not expected as a result of aquaculture uses
(see Section IV).
                                        13

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       When rotenone is used in fish management applications, food exposure may occur
when individuals catch and eat fish that either survived the treatment or were added to the
water body (restocked) prior to complete degradation. Although exposure from this route
is unlikely for the general U.S. population, some people might consume fish following a
rotenone application. EPA used maximum residue values from a bioaccumulation study
to estimate acute risk from consuming fish from treated water bodies.  This estimate is
considered conservative because the bioaccumulation study measured total residues in
edible portions offish including certain non-edible portions (skin, scales, and fins) where
concentrations may be higher than edible portions (tissue) and the Agency assumed that
100% offish consumption could come from rotenone exposed fish.  In addition, fish are
able to detect rotenone's presence in water and, when possible, attempt to avoid the
chemical by moving from the treatment area. Thus, for partial kill uses, surviving fish
are likely those that have intentionally minimized exposure.

       Acute exposure estimates for drinking water considered surface water only
because rotenone is only applied directly to surface water and is not expected to reach
groundwater. The estimated drinking water concentration (EDWC) used in dietary
exposure estimates was 200 ppb, the solubility limit of rotenone. The drinking water risk
assessment is conservative because it assumes water is consumed immediately after
treatment with no degradation and no water treatment prior to consumption.

       Acute dietary exposure estimates result in dietary risk below the Agency's level
of concern.  Generally, EPA is concerned when risk estimates exceed 100% of the acute
population adjusted dose (aPAD). The exposure for the "females 13-49 years old"
subgroup (0.1117 mg/kg/day) utilized 74% of the aPAD (0.015 mg/kg/day) at the 95th
percentile (see Table 5).  It is appropriate to consider the 95th percentile because the
analysis is deterministic  and unrefined.  Measures implemented as a result of this RED
will further minimize potential dietary exposure (see Section IV).

Table 5.  Acute Dietary (Food + Drinking Water) Exposure and Risk
Population Subgroup
Females 13-49 years
old
General U.S.
population
Food + Drinking
Water Exposure
(mg/kg/day)
0.01117
% aPAD
74
N/A1
 N/A = not applicable; no acute dietary endpoint could be selected for the general population because
effects attributable to a single dose were not seen in the available toxicity studies.
                                        14

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                     b)  Chronic Dietary Risk (Drinking Water Only)

       A chronic dietary exposure assessment was performed for rotenone in drinking
water only. The chronic assessment only considered drinking water because chronic
exposure from food is not expected based on rotenone's generally rapid degradation and
low propensity to bioaccumulate in fish.  The degradation of rotenone can vary greatly
depending on environmental conditions (e.g., rotenone degrades more rapidly in warm
water and less rapidly in cold water). When estimating chronic dietary exposure, EPA
assumed that rotenone could reach drinking water intakes. Based on the chronic toxicity
endpoint, EPA estimated the drinking water level of concern (DWLOC) to be 40 ppb for
the most sensitive population subgroups (infants and children).

       Under typical piscicidal use conditions, rotenone is relatively short-lived. Based
on aquatic field dissipation studies, rotenone dissipates under cold water and warm water
conditions with half-lives of 20 and 1.5 days, respectively.  The dissipation appears due
to a combination of both abiotic (aqueous photolysis and hydrolysis) and biotic
(microbial degradation) factors.  Additionally, there is evidence that rotenone is readily
deactivated through the use of oxidizing agents, such as potassium permanganate.  It is
also likely that drinking water treatment through chlorination, ozonation or charcoal
filtering will deactivate rotenone similar to potassium permanganate.  Thus, the Agency
expects no chronic exposures to rotenone in situations where water is either treated with
potassium permanganate for deactivation purposes or is subject to an oxidative drinking
water treatment regimen.  To confirm these assumptions in the risk assessment,
confirmatory laboratory studies will be required using protocols similar to the Tier I
drinking water protocols developed by the EPA Office of Research and Development
(ORD).

       The Agency believes that under certain limited circumstances - e.g., drinking
water intakes near lentic (standing) cold water treatment areas with no oxidative raw or
finished water treatment - residues of rotenone in drinking water could exceed the
DWLOC (40 ppb) for up to several weeks.  Thus, to ensure that chronic or sub-chronic
exposures above 40 ppb through drinking water will not occur, as a result of this RED,
registrants will be required to submit proposed labeling or a monitoring plan to preclude
such exposures.  Options which  could be considered include label restrictions to prohibit
use in standing waters with drinking water  intakes, development of a set of use
parameters that would preclude any potential for exposures above 40 ppb (e.g., based in
dilution factors/distance of water intakes from treatment area, water temperature at time
of treatment, pH, etc.), and/or a monitoring (e.g., analytical chemistry or sentinel
bioassay) requirement at water intakes.

              4.  Residential and Recreational Risk

       Rotenone is permitted for sale only  to Certified Applicators and can be applied in
private and public water bodies.  The public is prohibited from entering the treatment
area during treatment but may be exposed to rotenone by  swimming, wading, fishing,  or
performing other recreational activities in treated water.  The Agency uses  the term "post-
                                        15

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application" to describe exposures to individuals in an environment that has been
previously treated with a pesticide.

       The Agency only estimated post-application recreational exposure and risk from
swimming (dermal and incidental ingestion) because other recreational scenarios would
likely result in significantly less exposure.  EPA estimated recreational risks by
calculating margins of exposure (MOE). MOEs compare estimated exposure to the no
observed adverse effect level (NOAEL) in  a toxicity study.  For rotenone recreational
exposures, MOEs >1000 indicate that risks will not exceed EPA's LOG for inhalation,
dermal, and incidental oral residential risk. The target MOE includes a lOx uncertainty
factor for interspecies extrapolation, a lOx  uncertainly factor for intraspecies variation,
and a lOx database uncertainty factor because a potentially critical effect (neurotoxicity)
cannot be assessed quantitatively with the existing database.

                     a)  Adult Post-Application Recreational Risk

       For all adult post-application scenarios,  short-term risks for swimmers on the day
of application do not exceed the Agency's level of concern (see Table 6).

Table 6.  Adult Post-Application Recreational Risk
Exposure Scenario
Swimming (200 ppb
application scenario)
Dermal
Incidental
Ingestion
Margin of Exposure
1,600
7,000
Days Until Concentrations
are below EPA's LOG
N/A1
1 NA = Not Applicable; adult post-application exposure to rotenone does not exceed EPA's LOG on the
day of application.

                     b)  Toddler Post-Application Recreational Risk

       For all toddler post-application scenarios, short-term risks for swimming on the
day of application exceed the Agency's level of concern.  EPA estimated the number of
days required to reach rotenone concentrations below the LOG (MOE =  1000, rotenone
concentration = 90 ppb).  Table 7 presents estimated post-application risk from rotenone
applications made at 200 ppb in water 25°C.  Generally, swimming in water colder than
25°C is not expected.

       MOEs for swimming in treated areas exceed EPA's LOG for 3 days after
treatment. As a result of this RED, EPA will require that swimmers do not enter treated
areas until exposures are below the LOG (see Section IV).
                                        16

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Table 7.  Toddler Post-Application Recreational Risk
Exposure Scenario
Swimming
(200 ppb application
scenario)
Dermal
Incidental
Ingestion
Margin of Exposure
Non-Dietary
Risk (Short-
Term Oral)
970
850
Combined
Non-Dietary
Risk
450
Days Until Concentrations
are below EPA's LOG1
3
1 Level of concern = 90 ppb; mitigated maximum application rate = 200 ppb

              5.  Aggregate Risk

       An aggregate risk assessment considers the combined risk from dietary exposure
(food, drinking water) as well as exposure from non-occupational sources (residential,
recreational). Dietary and non-occupational exposure sources for rotenone include food,
drinking water, and recreational activities.

       EPA aggregated acute exposure from food (consumption of treated fish) and
drinking water and concluded that risk does not exceed the Agency's level of concern
(74% of the aPAD).  This estimate is conservative because food exposure is based on
conservative residue  values from a bioaccumulation study and the assumption that 100%
of a person's fish intake would come from treated fish, and drinking water exposure is
based on the maximum treatment concentration of rotenone (200  ppb).

       EPA did not aggregate dietary risk with recreational risk because the dietary
assessment is considered conservative and the recreational exposure is expected to be
intermittent and would not occur for the general population.  In addition, measures
implemented as a result of this RED will minimize recreational exposure (see Section
IV).

              6.  Occupational Risk

       Workers can be exposed to rotenone while performing mixing, loading, or
application activities  or when re-entering treated sites.  EPA estimated occupational risks
by calculating margins of exposure (MOE). MOEs compare estimated exposure to the no
observed adverse effect level (NOAEL) in a toxicity study.  For rotenone
occupational/handler exposures, MOEs >1000 indicate that risks will not exceed EPA's
LOG for short-term (1 to 30 days) and intermediate-term (1 to 6 months) exposure and
risk. The target MOE includes a lOx uncertainty factor for interspecies extrapolation, a
lOx uncertainty factor for intraspecies variation, and a lOx data base uncertainty factor
because a potentially critical effect (neurotoxicity) cannot be assessed quantitatively with
the existing database.
                                        17

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                    a)  Occupational Handler Exposure Scenarios

       The Agency initially estimates handler risks using baseline work clothing (i.e.,
long sleeve shirt, long pants, shoes and socks), no gloves, and no respirator.  If these
estimates exceed EPA's LOG, the Agency estimates the extent to which the use of
additional protective measures (e.g., personal protective equipment and engineering
controls) would lower the exposure. Personal protective equipment (PPE) can include an
additional layer of clothing, chemical-resistant gloves, and a respirator.  Common
examples of engineering controls include enclosed cabs,  closed mixing/loading systems,
and water-soluble packaging. Table 8 presents the occupational handler scenarios that
were assessed for rotenone.

Table 8. Occupational Handler Exposure Scenarios
Handler(s)
Mixer/Loader
Applicator
Mixer/Loader/
Applicator
Scenario
Number
la
Ib
2a
3
4
5
6
7
8
9
10
11
Scenario Description
Liquid Formulations for Helicopter Applications
Liquid Formulations for Boat Applications (boom and underwater
weighted hose applications)
Wettable Powder Formulations for Boat Applications (boom and
underwater weighted hose applications)
Helicopter Spray Applications (using PHED fixed wing aerial
spray application data)
Boat Boom Spray Applications (using PHED groundboom spray
application data)
Liquid Formulations: Backpack Sprayer (using PHED liquid low
pressure handwand data)
Liquid Formulations: Closed System Aspirators (using PHED
closed system mixing/loading liquids) - no contact should occur
once liquid rotenone is loaded
Liquid Formulations: Drip Bars (using PHED mixing/loading
liquids) - no contact should occur once liquid rotenone is loaded
Wettable Powder: Backpack Sprayer (using PHED wettable
powder low pressure handwand data)
Wettable Powder Formulations: Closed System Aspirators (using
PHED closed system mixing/loading wettable powders) - no
contact should occur once wettable powder rotenone is loaded
Wettable Powder Formulations: Drip Bars (using PHED
mixing/loading wettable powders) - no contact should occur once
wettable powder rotenone is loaded
Wettable Powder Formulations: Powder/Sand/Gelatin Pastes
                    b)  Occupational Handler Risk

       Risks for occupational handlers addressed the following scenarios for short- and
intermediate-term exposure:  mixer/loader, applicator, and mixer/loader/applicator.
These scenarios were used to estimate exposures based on application of wettable
powders and liquids, via helicopter, boat, backpack, and drip bars.
                                        18

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       Because chemical-specific and equipment-specific data for assessing occupational
exposure to rotenone were not available, EPA estimated handler exposure using the
Pesticide Handlers Exposure Database (PHED) Version 1.1 (August 1998). Occupational
risks may be conservative because the best available data used to estimate exposure are
surrogate data meant for assessing agricultural pesticide applications. EPA's agricultural
exposure calculations assume daily exposure of up to 30 consecutive days, whereas
rotenone applications are likely sporadic and of only a few days duration. Also the
calculations in Table 9 include only the maximum application rates and rotenone
applications may be made at lower rates. Furthermore, estimated occupational risks may
be conservative because the toxicity endpoints used in the assessment were based on a rat
developmental toxicity study in which the effect of concern was decreased body weight
gain seen at a LOAEL approximately 6-fold higher than the NOAEL used in the
assessment. Actual reproductive toxicity (decreased numbers of live pups) was seen at
doses 8- to 10-fold higher than the NOAEL.

       Although EPA generally estimated human health and ecological exposure based
on rotenone's solubility limit of 200 ppb, because the maximum labeled concentration of
250 ppb could result in higher occupational risk, EPA estimated occupational exposure
using both the maximum labeled concentration and rotenone's solubility limit. Table 10
presents handler exposure estimates based on 250 ppb (0.68 Ib. ai/A-ft) and 200 ppb
(0.54 Ib. ai/A-ft) for lakes, ponds, and streams.  Because many occupational handler risks
exceed EPA's level of concern, EPA will require the maximum labeled treatment
concentration to be reduced from 250 ppb to  200 ppb, additional PPE, and other measures
to reduce occupational exposure (see Section IV).

Table 9.  Summary of Handler Risks at 250 ppb and 200 ppb Application Rates
Exposure
Scenario
Mixing/Loading
Liquid
Concentrates for
Helicopter
Applications (la)
Mixing/Loading
Liquid
Concentrates for
Boat Applications
(Ib)
Mixing/Loading
Wettable Powders
for Boat
Applications (2a)
Applying Sprays
via Helicopter (3)
Applying Sprays
via Boat Over-
surface Boom
Equipment (4)
Crop or
Target
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Lakes
Application
Rate1
0.68
0.68
0.54
0.54
0.68
0.68
0.54
0.54
0.68
0.68
0.54
0.54
0.68
0.68
0.54
0.54
0.68
0.68
0.54
0.54
Area
Treated
Daily
10 acres
5 acres
10 acres
5 acres
100 acres
50 acres
100 acres
50 acres
100 acres
50 acres
100 acres
50 acres
10 acres
5 acres
10 acres
5 acres
100 acres
50 acres
100 acres
50 acres
Combined MOEs2
Baseline
3.5
7.1
4.5
8.9
0.35
0.71
0.45
0.89
0.25
0.5
0.31
0.63
ND
ND
ND
ND
48
96
61
120
G+NR
290
590
370
740
29
59
37
74
1.7
3.4
2.2
4.3
ND
ND
ND
ND
48
96
61
120
G,DL +
NR
350
710
450
890
35
71
45
89
1.8
3.7
2.3
4.6
ND
ND
ND
ND
56
110
70
140
G +
80% R
410
810
510
1000
41
81
51
100
4
8
5.1
10
ND
ND
ND
ND
66
130
84
170
G, DL +
80% R
530
1100
670
1300
53
110
67
130
4.8
9.5
6
12
ND
ND
ND
ND
82
160
100
210
G +
90% R
430
850
540
1100
43
85
54
110
4.8
9.7
6.1
12
ND
ND
ND
ND
70
140
88
180
G,DL +
90% R
570
1100
710
1400
57
110
71
140
6
12
7.5
15
ND
ND
ND
ND
88
180
110
220
Eng Cont
1100
2200
1400
2700
110
220
140
270
84
170
110
210
1800
3600
2300
4600
190
380
240
480
                                       19

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Exposure
Scenario
Mixing/Loading/
Applying Liquids
with a Backpack
Sprayer (using
PHED liquid low
pressure
handwand data)
(5)
Mixing/Loading/
Applying Liquids
with Closed
System Aspirators
(PHED:
mixing/loading
liquid - closed
system) (6)
Mixing/Loading/
Applying Liquids
with Drip Bars
(PHED:
mixing/loading
liquid) (7)
Mixing/Loading/
Applying
Wettable Powders
with a Backpack
Sprayer (using
PHED wettable
powder low
pressure
handwand data)
(8)
Mixing/Loading/
Applying
Wettable Powders
with Closed
System Aspirators
(PHED:
mixing/loading
liquid - closed
system) (9)
Mixing/Loading/
Applying
Wettable Powders
with Drip Bars
(PHED:
mixing/loading
liquid) (10)
Mixing/Loading/
Applying
Wettable Powders
via Powder/Sand/
Gelatin Paste (11)
Crop or
Target
Lakes
Lakes
Streams
Streams
Lakes
Lakes
Lakes
Lakes
Streams
Streams
Lakes
Lakes
Streams
Streams
Lakes
Lakes
Lakes
Lakes
Streams
Streams
Seeps
and
Springs
Application
Rate1
0.68
0.54
0.000016 Ib
ai/ft3
0.00001 3 Ib
ai/ft3
0.68
0.68
0.54
0.54
0.000016 Ib
ai/ft3
0.00001 3 Ib
ai/ft3
0.68
0.54
0.000016 Ib
ai/ft3
0.00001 3 Ib
ai/ft3
0.68
0.68
0.54
0.54
0.000016 Ib
ai/ft3
0.00001 3 Ib
ai/ft3
Area
Treated
Daily
2 acres
2 acres
10,560 ft
long
10,560 ft
long
10 acres
5 acres
10 acres
5 acres
10,560 ft
long
10,560 ft
long
2 acres
2 acres
10,560 ft
long
10,560 ft
long
10 acres
5 acres
10 acres
5 acres
10,560 ft
long
10,560 ft
long
Combined MOEs2
Baseline
0.51
0.51
10
13
N/A
N/A
N/A
N/A
360
440
NO
NO
NO
NO
N/A
N/A
N/A
N/A
250
310
G+NR
71
71
1400
1700
N/A
N/A
N/A
N/A
30000
36000
2.6
2.6
53
65
N/A
N/A
N/A
N/A
1700
2100
G,DL +
NR
77
77
1500
1900
N/A
N/A
N/A
N/A
36000
44000
3
3
60
74
N/A
N/A
N/A
N/A
1800
2300
G +
80% R
110
110
2100
2600
N/A
N/A
N/A
N/A
41000
50000
4.8
4.8
96
120
N/A
N/A
N/A
N/A
4000
5000
G.DL +
80% R
120
120
2400
3000
N/A
N/A
N/A
N/A
53000
66000
6.1
6.1
120
150
N/A
N/A
N/A
N/A
4800
5900
G +
90% R
110
110
2300
2800
N/A
N/A
N/A
N/A
43000
53000
5.3
5.3
110
130
N/A
N/A
N/A
N/A
4900
6000
G,DL +
90% R
130
130
2600
3200
N/A
N/A
N/A
N/A
57000
70000
7.1
7.1
140
170
N/A
N/A
N/A
N/A
6000
7400
Eng Cont
NF
NF
NF
NF
110
220
140
270
110000
140000
NF
NF
NF
NF
84
170
110
210
85000
100000
There are currently no data to assess this scenario. EPA believes this scenario will result in minimal exposure due to the
amount of rotenone used and the fact that this paste is typically mixed in either a lab under a fume hood or by an individual
wearing a respirator.
1 Lb ai/A-ft unless otherwise noted
2 G = Gloves; DL = Double Layer (baseline clothing + gloves); NR = No Respirator; R = Respirator; Eng
Cont = Engineering Controls; ND = No Data; N/A = Not Applicable; NF = Not Feasible
                                               20

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                    c)  Post-Application Occupational Risk

       Occupational post-application scenarios were not assessed for rotenone because
both dermal exposure from collecting dead fish and inhalation exposure from
volatilization are expected to be minimal and no other post-application exposure is
expected.

              7.  Human Incident Data

       EPA reviewed reported incidents from piscicide applications and the now
cancelled agricultural and residential uses. Incident data for rotenone were available
from five sources including the OPP Incident Data System (IDS), Poison Control Centers
(PCC), California Department of Pesticide Regulation (CDPR), National Pesticide
Information Center (NPIC), and National Institute of Occupational Safety and Health's
Sentinel Event Notification System for Occupational Risks (NIOSH SENSOR).

       The most common symptom reported was eye irritation, which was four times
more prevalent that any other symptoms. Other symptoms reported included dermal
irritation, throat irritation, nausea, and cough/choke.  Most incidents appeared to be
caused by rotenone's irritant properties.  Few neurological symptoms other than  headache
and dizziness were reported, though there were several reports of peripheral neuropathy,
numbness, or tremor. No fatalities or systemic poisonings were reported in relation to
ordinary use.

       B. Ecological Risk Assessment

       EPA conducted an ecological risk assessment for rotenone to support the
reregi strati on eligibility decision. EPA evaluated the submitted environmental fate and
ecological studies as well as available open  literature and determined that the data are
adequate to support a reregi strati on eligibility decision.

              1.  Environmental Fate and Transport

       Rotenone is mobile to moderately mobile in soil and sediment (Kd = 4 - 426 mL
goc"1) and has a relatively low potential for bioconcentrating in aquatic organisms (BCF <
SOX). Rotenone is not persistent in the environment and its low vapor pressure (6.9xlO"10
torr) and Henry's Law constant (l.lxlO"13 atm-m3 mol"1) limit its volatility. If released to
water, rotenone generally degrades quickly through abiotic (hydrolytic and photolytic)
mechanisms, with half-lives of a few days to several weeks or longer depending  on water
temperature. The extent of degradation through biotic mechanisms is unknown since no
data were available to assess this potential route of degradation.

              2.  Ecological Exposure and Risk

       To estimate potential ecological risk, EPA integrates the results of exposure and
ecotoxicity studies using the risk quotient (RQ) method.  RQs are calculated by dividing
                                       21

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acute and chronic estimated environmental concentrations (EEC) by ecotoxicity values
for various wildlife and plant species.  RQs are then compared to the levels of concern
(LOG) presented in Table 10.

Table 10. EPA's Levels of Concern for Risk Quotients
Risk Presumption
Acute Risk - there is potential for acute risk
Acute Endangered Species - endangered species
may be adversely affected
Chronic Risk - there is potential for chronic risk
Level of Concern
Terrestrial
Animals
0.5
0.1
1
Aquatic
Animals
0.5
0.05
1
Plants
1
1
N/A
1 RQs that exceed EPA's level of concern for endangered species do not constitute a "may affect finding"
under the Endangered Species Act.

       When the RQ exceeds the level of concern for a particular category, the Agency
presumes a risk of concern.  In general, the higher the RQ, the greater the potential risk.
Risk characterization provides further information on potential adverse effects and the
possible impact of those effects by considering the fate of the chemical and its degradates
in the environment, organisms potentially at risk, and the nature of the effects observed.

                     a)  Aquatic Organisms

       EPA estimated toxicity, exposure, and risk to freshwater fish and invertebrates.
Data were not available to evaluate the risk of rotenone exposure to non-target aquatic
plants.

       As a registered piscicide, rotenone is expected to kill fish and aquatic
invertebrates at the concentrations at which it is applied.  To estimate risks to aquatic
animals, the Agency considered estimated environmental concentrations (EECs) in
surface water bodies based on labeled application rates (concentrations): 250 ppb for
lakes/reservoirs/ponds and 50 ppb for streams/rivers.  The maximum solubility
concentration for rotenone is 200 ppb. Although applicators may apply up to 250 ppb
rotenone in lakes/reservoirs/ponds for difficult-to-control species, only 200 ppb will be
available in the water for exposure.  Therefore, the ecological risk assessment considers
200 ppb and 50 ppb to be the maximum potential exposure for exposed aquatic organisms
in lakes/reservoirs/ponds and streams/rivers, respectively (see  Table 11).

Table 11.  EECs for Aquatic Organisms
Use Sites
Lakes/Reservoirs/Ponds
Streams/Rivers
Peak EEC
200 ppb
50 ppb
       Aquatic organism acute and chronic toxicity values are presented in Table 12 and
Table 13, respectively. No guideline studies were required to assess either acute or
                                        22

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chronic toxicity of rotenone to estuarine/marine fish or invertebrates; however, rotenone
is not used in estuarine/marine environments and labels will be updated to make this
clarification (see Section IV).  Chronic effects to aquatic organisms may occur when
aquatic fish and invertebrates are not eliminated during acute exposure.

Table 12.  Rotenone Acute Toxicity Values for Freshwater Fish and Invertebrates
Species
Freshwater Fish
Rainbow Trout
Oncorhynchus
mykiss
Freshwater
Invertebrates
Daphnid
Toxicity Value
(ppb)
LC50 = 1.94
EC50 = 3.7
Effects
Endpoint
Survival
Survival
Exposure
Duration
96 hour
96 hour
Toxicity
Classification
Very highly
toxic
Very highly
toxic
Reference
MRID
43975102
MRID
40063303
Table 13.  Rotenone Chronic Toxicity Values for Freshwater Fish and Invertebrates
Species
Freshwater Fish
Rainbow Trout
Oncorhynchus
mykiss
Freshwater
Invertebrates
Daphnid
Toxicity Value
(ppb)
NOAEC= 1.01
NOAEC= 1.25
Effects
Endpoint
Growth
Reproduction
Exposure
Duration
32 day
21 day
Reference
MRID
40063302
MRID
40063303
Acute Risk

       At maximum treatment concentrations, acute EECs of rotenone are expected to be
equivalent to the solubility limit of 200 ppb.  At this exposure concentration, risk quotient
values (RQ = EEC/LC50) for fish and invertebrates are 103 (200/1.94) and 54 (200/3.7),
respectively. Both RQs exceed the acute risk level of concern (RQ = 0.5). When used at
the maximum treatment concentrations, rotenone is likely to cause the intended effect of
acute mortality for many aquatic species in the treatment area.

Chronic Risk

       Based on the dissipation rates, and the highest application rates in each type of
site,  effects might be expected on sensitive species for less than two weeks in warm water
environments.  However, rotenone can be quite persistent in cold environments where it
might remain at levels causing effects for approximately 160 days at maximum labeled
treatment concentrations.  Chronic risk quotients (RQs) exceed the Agency's LOG.
                                       23

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                    b)  Terrestrial Organisms

       EPA estimated toxicity, exposure, and risk to avian and mammalian terrestrial
organisms.

Birds

       Since rotenone is applied directly to water, there is little likelihood that terrestrial
forage items for birds will contain rotenone residues from this use.  While it is possible
that some piscivorous birds may feed opportunistically on dead or dying fish located on
the surface of treated waters, protocols for piscicidal use typically recommend that dead
fish be collected and buried, rendering the fish less available for consumption (see
Section IV). In addition, many of the  dead fish will sink and not be available for
consumption by birds.

       However, whole body residues in fish killed with rotenone ranged from 0.22 |ig/g
in yellow perch (Percaflavescens) to  1.08 |ig/g in common carp  (Cyprinus carpio)
(Jarvinen and Ankley 1998). For a 68 g yellow perch and an 88 g carp, this represents
totals of 15 jig and 95 jig rotenone per fish, respectively. Based on the avian subacute
dietary LCso of 4110 mg/kg, a 1000-g bird would have to consume 274,000 perch or
43,000 small carp.  Thus, it is unlikely that piscivorous birds will consume enough fish to
result in a lethal dose.

Mammals

       The application of rotenone directly to water is not likely to present significant
exposure to wild mammals because dead fish tend to bloat and sink below the surface of
the water where they disintegrate and  are not available for terrestrial animal consumption.
Based on the remote chance, however, that different-sized mammals could forage on
dead or dying fish, it is possible to estimate the potential amount of rotenone in their diet.
When estimating daily food  intake, an intermediate-sized 350 g mammal will consume
about 18.8 g of food.  Using data previously cited from the common carp with a body
weight of 88 grams, a small  mammal would only consume 21% (18.8/88) of the total
carp body mass. According to the data for common carp, total body residues of rotenone
in carp amounted to 1.08 |ig/g. A 350-g mammal consuming 18.8 grams represents an
equivalent dose of 20.3 jig of rotenone; this value is well below the median lethal dose of
rotenone (39.5 mg/kg * 0.350 kg = 13.8  mg = 13,800  jig) for similarly sized mammals.

       When assessing a large mammal, 1000 g is considered to be a default body
weight.  A 1000 g mammal will consume about 34 g of food.  If the animal fed
exclusively on carp killed by rotenone, the equivalent dose would be 34 g *1.08 jig/g or
37 jig of rotenone.  This value is below the estimated median lethal equivalent
concentration adjusted for body weight (30.4 mg/kg * 1 kg = 30.4 mg = 30,400 jig).

       Although fish are often collected and buried to the extent possible following a
rotenone treatment, even if fish were available for consumption by mammals scavenging
                                       24

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along the shoreline for dead or dying fish, it is unlikely that piscivorous mammals will
consume enough fish to result in observable acute toxicity.

Non-Target Insects

       Currently, EPA does not estimate RQs for terrestrial non-target insects. However,
based on a single contact study in honey bees, technical grade rotenone is classified as
practically non-toxic on an acute exposure basis to non-target terrestrial insects (LD50 >
>60 ug/ai per bee).

Non-Target Terrestrial Plants

       No data were submitted to evaluate the risk of rotenone exposure to non-target
terrestrial plants; however, exposure to non-target terrestrial plants is unlikely given the
manner in which rotenone is applied (see Section IV).

              3.  Ecological Incidents

       EPA conducted a review of the Ecological Incident Information System (EIIS)
database for ecological incidents involving rotenone. Six of the reported incidents were a
result of direct rotenone applications to water, and one was the result of a terrestrial
rotenone application.

       Two incidents  involved rotenone applied to ponds. One incident occurred in
South Carolina where  300 sunfish and tadpoles were reported killed. The second pond
incident occurred in Missouri and resulted in thousands offish killed. The Missouri
incident occurred in a  bait pond that had been treated with rotenone to remove carp and
the treated water from the pond was released into an adjoining creek. Dead fish were
observed up to 2.4 miles downstream.

       A river incident occurred in Illinois.  Rotenone was intentionally misused and
killed over 11,000 fish of different species.  The majority of the fish killed were
minnows.

       Another incident occurred in Lake Davis, California. Rotenone was intentionally
applied to control northern pike (Esox lusius) and resulted in thousands offish being
killed. The California Department of Fish and Game applied the rotenone according to
its defined operating procedures. Although potassium permanganate was used to
detoxify rotenone and prevent its movement downstream, an insufficient amount of
permanganate was used and thousands offish were reported killed outside of the intended
treatment area.

       There was a report of hundreds offish being killed in South Carolina following a
terrestrial insecticide application of rotenone; however, so few details were reported that
it is difficult to gauge  causality.
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       One incident report is associated with mortality of terrestrial animals in New
York. A swan and a duck were killed following the treatment of a pond with synergized
rotenone containing piperonyl butoxide. Two Canadian geese and one mute swan were
found dead several days after the treatment; however it is uncertain whether the
mortalities could be clearly associated with the rotenone treatment.

              4.  Endangered Species

       The Endangered Species Act required federal agencies to ensure that their actions
are not likely to jeopardize listed species or adversely modify designated critical habitat.
The Agency has developed the Endangered Species Protection Program to identify
pesticides whose use may cause adverse impacts on federally listed endangered and
threatened species, and to implement mitigation  measures that address these impacts.  To
assess the potential of registered pesticide uses that may affect any particular species,
EPA puts basic toxicity and exposure data developed for the REDs into context for
individual listed species and  considers ecological parameters, pesticide use information,
the geographic relationship between specific pesticide uses and species locations and
biological requirements and behavioral  aspects of the particular species. When
conducted, these analyses take into consideration any regulatory changes recommended
in the RED being implemented at that time. A determination that there is a likelihood of
potential effects to a listed species may  result in  limitations on the use of the pesticide,
other measures to mitigate any potential effects,  and/or consultations with the Fish and
Wildlife Service or National  Marine Fisheries Service, as necessary. If the Agency
determines use of rotenone "may affect" listed species or their designated critical habitat,
EPA will employ  the provisions in the Services regulations (50 CFR Part 402).

       The ecological assessment that EPA conducted for this RED does not, in itself,
constitute a determination as to whether specific species or critical habitat may be harmed
by the pesticide. Rather, this assessment serves as a screen to determine the need for any
species  specific assessment that will evaluate whether exposure may be at levels that
could cause harm to specific listed species and their critical habitat.  That assessment
would refine the screening-level assessment to take into account such things as the
geographic area of pesticide use in relation to the listed species, the habits and habitat
requirements of the listed species, etc.  If the Agency's specific assessments for rotenone
result in the need to modify use of the pesticide,  any geographically specific changes to
the pesticide's registration will be implemented through the process described in the
Agency's Federal Register Notice (54 FR 27984) regarding implementation of the
Endangered Species Protection Program.

IV. Risk Management and Reregistration Eligibility Decisions

       A.  Determination of Reregistration Eligibility

       Section 4(g)(2)(A) of the Federal Insecticide, Fungicide and Rodenticide Act
(FIFRA) calls for the Agency to determine, after submission of relevant data concerning
an active ingredient, whether pesticides containing the active ingredient are eligible for
                                        26

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reregi strati on. Based on available data, EPA has completed its assessment of the risks
associated with the use of pesticides containing the active ingredient rotenone and has
concluded that it has sufficient information to make a decision as part of the reregi strati on
process under FIFRA, as amended by the Food Quality Protection Act (FQPA).

       EPA has determined that currently registered uses of rotenone will not pose
unreasonable risks or adverse effects to humans or the environment if the requirements
for reregi strati on outlined in this document are implemented.  Unless labeled and used as
specified in this document, rotenone would present risks inconsistent with FIFRA.
Accordingly, should a registrant fail to implement any of the requirements for
reregi strati on identified in this document, the Agency may take regulatory action to
address the risk concerns from the use of rotenone.

       B. Requirements for Reregistration

       Piscicidal uses for rotenone are eligible for reregi strati on provided that registrants
comply with the requirements outlined in this document including the following: (1)
submit required data; (2) implement risk mitigation measures; (3) update product labels;
and (4) submit an up-to-date confidential statement of formula (CSF) for each product.

              1.  Required Data

       Piscicidal uses for rotenone are eligible for reregi strati on provided that registrants
submit data as required by the generic and product-specific data call-ins that EPA intends
to issue as a result of this RED (see Section V).

       The generic  database supporting the reregi strati on of rotenone for piscicidal uses
has been reviewed and determined to be adequate to  support a reregi strati on eligibility
decision; however, as a result of this RED, generic data will be required to confirm that
standard water treatment processes are effective at breaking down rotenone. Using the
existing database, EPA cannot quantitatively asses a  potentially critical effect
(neurotoxicity) at doses to which rotenone users could be exposed; therefore, an
additional lOx database uncertainty factor has been applied in addition to the inter-
species (lOx) uncertainty factor and intra-species (lOx) uncertainty factor. Product-
specific data for each product will also be required as appropriate.

              2.  Risk Mitigation Measures

       Products containing rotenone are eligible for  reregi strati on provided that
registrants implement the risk mitigation measures presented in Table 14. Specific
labeling requirements to implement these measures are presented in Table 15 and Table
16 (see Section V).
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       Table 14.  Risk Mitigation Measures for Rotenone
Risk of Concern
Mitigation Measures
Chronic dietary exposure
from drinking water
exceeds OPP's level of
concern
       For lentic (standing) water treatment areas with drinking water intakes within the treatment area or
       downstream/downlake of the treatment area with no oxidative raw or finished water treatment, registrants
       must submit proposed labeling or a monitoring plan to preclude sub-chronic or chronic exposure to rotenone
       concentrations above 40 ppb.  Options which could be considered include label restrictions to prohibit use in
       standing waters with drinking water intakes and no oxidative raw or finished water treatment, development of
       a set of use parameters that would preclude any potential for sub-chronic or chronic exposures above 40 ppb
       (e.g., based on dilution factors/distance of water intakes from treatment area, water temperature at time of
       treatment, pH, etc.), and/or a monitoring (e.g., analytical chemistry or sentinel bioassay) requirement at water
       intakes.
Exposure from
swimming in treated
areas exceeds OPP's
LOG
       Through posting and access area closures, the Certified Applicator or designee under his/her direct
       supervision must prohibit recreational access (e.g., wading, swimming, boating and fishing) to treated areas
       during treatment.
       Through posting and access area closures, the Certified Applicator or designee under his/her direct
       supervision must prohibit swimming in treated areas during treatment and for 3 days thereafter (or until
       monitoring samples confirm rotenone concentrations in swimming areas are below 90 ppb for 3 consecutive
       samples taken no less than 4 hours apart).	
Exposure from
consuming treated fish
may exceed OPP's LOC
       Through posting and access area closures, the Certified Applicator or designee under his/her direct
       supervision must prohibit consumption of dead fish taken from treatment areas.
       For treated water bodies used for food production (aquaculture), the Certified Applicator or designee under
       his/her direct supervision must prohibit restocking offish until monitoring samples confirm rotenone
       concentrations are below the level of detection for 3 consecutive samples taken no less than 4 hours apart.
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Risk of Concern
Mitigation Measures
Occupational exposure
exceeds OPP's LOG
       Registrants must update labels to specify maximum treatment concentrations of 50 parts per billion (ppb) in
       streams/rivers and 200 ppb in lakes/reservoirs/ponds.
       Registrants must update labels to require rotenone applications to be supervised by an on-site Certified
       Applicator. The on-site Certified Applicator should attend a certification program for piscicide applications.
       Registrants must update labels to allow the use of backpack sprayers only with products formulated as
       liquids.
       Registrants must package all rotenone products to accommodate closed mixing/loading systems.
       The Certified Applicator or designee under his/her direct supervision must ensure that rotenone products are
       mixed/loaded in closed mixing/loading systems (except backpack sprayers for liquid formulations).
       The Certified Applicator or designee under his/her direct supervision must ensure that all rotenone products
       are mixed/loaded in closed systems (except backpack sprayers for liquid formulations).
       The Certified Applicator or designee under his/her direct supervision must ensure that all applications are
       made beneath the water's surface (except backpack sprayers for liquid formulations and aerial applications).
       Registrants must update labels to require all handlers (except aerial applicators) and other individuals directly
       participating in the treatment to wear the following PPE in addition to baseline protection (long-sleeve shirt,
       long pants, socks and shoes): chemical resistant gloves, coveralls, and footwear; protective eyewear; and a
       full-face respirator that also provides eye protection. Aerial applicators must use an enclosed cockpit and
       wear long-sleeve shirt, long pants,  shoes, and socks.
Ecological risk quotients
(RQ) for non-target
species exceed OPP's
LOG
       Registrants must update labels to prohibit rotenone use in estuarine/marine environments.
       Through deactivation with potassium permanganate, the Certified Applicator or designee under his/her direct
       supervision must ensure that rotenone will not affect areas beyond the treatment area.
       The Certified Applicator or designee under his/her direct supervision should collect and bury dead fish.	
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             3.  Product Label Updates

       Manufacturing-Use Products and End-Use Products must be updated to reflect the
mitigation measures presented in Table 14 above and the label changes presented in
Table 15 and Table 16 (see Section V). As a result of this RED, registrants will also be
required to develop and submit a standard operating procedures manual.

       EPA believes that a detailed standard operating procedures (SOP) manual is
necessary for rotenone because the ways in which it is applied are significantly more
complex than typical agricultural pesticides.  Because so many detailed instructions and
procedures must be followed to conduct a safe, effective, and lawful piscicide
application, the product label may not be  a practical medium for capturing all of the
necessary SOPs.

       In addition to other topics and information, the rotenone SOP manual must
contain detailed procedures/instructions for completing potentially complex activities
including, but not limited to, the following topics: planning a rotenone application;
applying rotenone as a complete and partial kill treatment; deactivating rotenone with
potassium permanganate; minimizing human (handler and bystander) exposure;
minimizing ecological exposure; precluding chronic or sub-chronic exposure to rotenone
through drinking water; keeping treatment records; posting and preventing access to
treated areas; and facilitating compliance  with the Federal Insecticide, Fungicide, and
Rodenticide Act (FIFRA), the Clean Water Act (CWA), the National Environmental
Policy Act (NEPA), and the Endangered Species Act (ESA).

       It is EPA's expectation that the technical registrants will seek input from EPA for
developing a draft SOP manual that will be released for public and stakeholder comment
prior to finalization. The registrants will be responsible for updating the manual as
necessary and also for making it available to rotenone users.

             4.  Confidential Statement of Formula

       For certain formulations, emulsifiers and solvents are used to extract the active
ingredient rotenone from the derris root.  The use of these compounds may result in inert
ingredients and impurities that have strong chemical odors and may pose risks to human
health and the environment. As part of the product-specific data call-in,  registrants must
submit an updated confidential statement  of formula (CSF) for each rotenone product.
CSFs must quantify all inert ingredients and impurities >0.1%. If appropriate, EPA will
take additional steps to address risks of concern from inert ingredients and impurities (see
40CFR158.155).
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       C. Regulatory Rationale

       The Agency has determined that rotenone is eligible for reregi strati on provided
that the requirements for reregi strati on outlined in this document are implemented.
Provided that registrants comply with the requirements of this RED, EPA believes that
rotenone will not present risks inconsistent with FIFRA and that rotenone's benefits to
society, including enhanced recreational areas and control of non-native and invasive
species, outweigh the remaining risks. A summary of EPA's rationale for reregistering
and managing risks associated with rotenone is  presented below.

              1.  Benefits and Alternatives

       Rotenone and antimycin A (CAS Number 1397-94-0, EPA PC Code 006314) are
the only two broad spectrum piscicides registered in the United States. Rotenone and
antimycin A each appear to have niche uses, although both can be applied in a variety of
situations. In general, antimycin A is used to repopulate native, threatened, or
endangered trout species in streams by eliminating nonnative fish species, particularly in
high-altitude alpine lakes and streams because it is effective in cold alpine waters and
where pH is low.  In addition, this piscicide may be used at low concentrations, which
makes it easy to transport to isolated or hard to reach mountainous streams. Rotenone is
most often used in standing water, such as large lakes and reservoirs. It is typically
applied to maintain sport fisheries, to sample fish populations, and to eliminate unwanted
species in rearing ponds. The costs of rotenone and antimycin A are similar.  For
sampling fish populations,  alternatives such as electrofishing are available.
Electrofishing requires the use of specialized equipment that runs a low-voltage current
through the water to temporarily stun fish for easy collection.  However, for water bodies
requiring partial or complete kill of certain fish  species, rotenone and antimycin A are
more effective.  Dewatering is an effective alternative for complete kill in a water body.
In select cases, gill netting, which generally only reduces fish populations, has been used
to remove all fish from certain mountain lakes in California.

       Although some uses of rotenone and antimycin A coincide, they are not direct
replacements for each other.  Because there are  no other broad spectrum piscicides
available, the only possible alternatives are non-chemical fish control methods, and none
are applicable for all uses of rotenone or antimycin A. In situations where dewatering or
electrofishing are potential replacements, it is not clear if these are more cost effective or
less detrimental to the environment.

       Rotenone is formulated as a liquid and a wettable powder.  In general, liquid
formulations are slightly more expensive than wettable powder formulations and, based
on the Agency's risk estimates, result in lower occupational exposure and are more
compatible with existing closed system technologies. The wettable powder formulations,
however, appear to contain fewer potentially toxic impurities and inert ingredients.
Through the requirements of this RED and associated product reregi strati on, EPA intends
to minimize the potential adverse effects to human health and the environment from both
formulations.
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       Because there are niche uses and no direct replacements available for all
piscicidal uses of rotenone, EPA concludes that continued registration of both liquid and
wettable powder rotenone products, subject to the requirements of this RED, would
provide benefit to society in controlling invasive or unwanted fish species.

              2.  Human Health and Ecological Risk

       EPA has conducted human health and ecological risk assessments for rotenone to
support the reregi strati on eligibility decision. In its assessments, EPA concluded that
most risks are below the Agency's level of concern but also identified potential risks that,
if left unmitigated, may pose unreasonable risks or adverse effects to humans or the
environment.

       As a result of this RED, EPA is requiring registrants to implement risk mitigation
measures to address ecological risks from unintended exposure and human health risks
from swimming in treated areas,  consuming treated fish, and handling rotenone.  To
mitigate ecological risk, the Agency is requiring deactivation with potassium
permanganate to ensure that rotenone will not affect areas beyond the treatment area;
encouraging users to collect and bury dead fish; prohibiting rotenone from being applied
to estuarine/marine environments; and requiring the maximum application rate to be
reduced from 250 ppb to rotenone's solubility limit of 200 ppb. To mitigate human
health risk, the Agency  is requiring that the Certified Applicator or designee under his/her
direct supervision ensures concentrations of rotenone at drinking water intakes are below
EPA's LOG (40 ppb); where appropriate, deactivate effluent with potassium
permanganate; placard the treatment area to prohibit recreational access during treatment,
swimming for at least 3 days following treatment, and consumption of dead fish taken
from treatment area; and apply rotenone below the water's surface (except for aerial and
backpack sprayer applications). Registrants will update labels to require these measures
along with reducing the maximum labeled  treatment concentration, limiting the use of
backpack sprayers to  only liquid formulations, and requiring additional personal
protective equipment.

              3.  Endocrine  Screening

       EPA is required under the FFDCA, as amended by FQPA, to develop a screening
program to determine whether certain substances (including all pesticide active and other
ingredients) "may have an effect in humans that is similar to an effect produced by a
naturally occurring estrogen, or  other such endocrine effects as the Administrator may
designate. " Following the recommendations of its Endocrine Disrupter Screening and
Testing Advisory Committee (EDSTAC), EPA determined that there were scientific
bases for including, as part of the program, androgen and thyroid hormone systems, in
addition to the estrogen hormone system. EPA also adopted EDSTAC's recommendation
that the Program include evaluations of potential effects in wildlife. When the
appropriate screening and/or testing protocols being considered under the Agency's
Endocrine Disrupter Screening Program (EDSP) have been developed and vetted,
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rotenone may be subjected to additional screening and/or testing to better characterize
effects related to endocrine disruption.

V.  What Registrants Need to Do

       The Agency has determined that rotenone is eligible for reregi strati on provided
that the requirements for reregi strati on identified in this RED are implemented (see
Section IV). Registrants will also need to submit required data, amend product labeling,
and submit an updated confidential statement of formula for each product.

       A. Manufacturing Use Products

              1.  Generic Data Requirements

       The generic database supporting the reregi strati on of rotenone for currently
registered uses has been reviewed and determined to be adequate to support a
reregi strati on eligibility decision.  However, to confirm that no chronic exposures to
rotenone (above 40 ppb) will occur in situations where water is either treated with
potassium permanganate for deactivation purposes or is subject to an oxidative drinking
water treatment regimen, confirmatory laboratory studies will be required through a
generic data call-in (GDCI) using protocols similar to the Tier I drinking water protocols
developed by the EPA Office of Research and Development (ORD).

       Generally, registrants will have 90 days from receipt of a GDCI to complete and
submit response forms or request time extensions and/or waivers with a full written
justification.  Timeframes for submitting generic data will be presented in the GDCI.

              2.  Confidential Statement of Formula

       As part of product reregi strati on, registrants must submit an updated confidential
statement of formula (CSF) for each rotenone Manufacturing-Use Product. Each CSF
must list all components present at a concentration of 0.1% or more by weight. These
components fall into three general categories: active ingredients, inert ingredients, and
impurities. Active ingredients are those that have some active role in controlling the pest.
Inert ingredients are intentionally added to the product to achieve effects not directly
related to controlling the pest (such as water, emulsifiers, preservatives,  carriers).
Impurities (also known as contaminants) are compounds not intentionally added to the
product.  Impurities that do not have toxic properties can be lumped together on the CSF
as "Other Ingredients" only if each is below 0.1% by weight.

              3.  Labeling for Technical Products

       To be eligible for reregi strati on, labeling changes are necessary to implement
measures outlined in Section IV.  Specific language to incorporate these changes is
presented in Table 15.  Generally, conditions for the distribution and sale of products
bearing old labels/labeling will be established when the label changes are approved.
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However, specific existing stocks time frames will be established case-by-case,
depending on the number of products involved, the number of label changes, and other
factors.

       B.     End-Use Products

              1.  Product-Specific Data Requirements

       Section 4(g)(2)(B) of FIFRA calls for the Agency to obtain any needed product-
specific data regarding the pesticide after a determination of eligibility has been made.
The registrant must review previous data submissions to ensure that they meet current
EPA acceptance criteria and if not, commit to conduct new studies.  If a registrant
believes that previously  submitted data meet current testing standards, then the study
MRID numbers should be cited according to the instructions in the Requirement Status
and Registrants Response Form provided for  each product. The Agency intends to issue
a separate product-specific data call-in (PDCI) outlining specific data requirements.

       Generally, registrants will have 90 days from receipt of a PDCI to complete and
submit response forms or request time extensions and/or waivers with a full written
justification.  Registrants will have eight months to submit product-specific data.

              2.  Confidential Statement of Formula

       As part of product reregi strati on, registrants must submit an updated confidential
statement of formula (CSF) for each rotenone End-Use product. Each CSF must list all
components present at a concentration of 0.1% or more by weight. These components
fall into three general categories: active ingredients, inert ingredients, and impurities.
Active ingredients are those that have some active role in controlling the pest.  Inert
ingredients are intentionally added to the product to achieve effects not directly related to
controlling the pest (such as water, emulsifiers, preservatives, carriers).  Impurities (also
known as contaminants) are compounds not intentionally added to the product.
Impurities that do not have toxic properties can be lumped together on the CSF as "Other
ingredients" only if each is below 0.1% by weight.

              3.  Labeling for End-Use Products

       To be eligible for reregi strati on, labeling changes are necessary to implement
measures outlined in Section IV.  Specific language to incorporate these changes is
presented in Table 16. Generally, conditions  for the distribution and sale of products
bearing old labels/labeling will be established when the label changes are approved.
However, specific existing stocks time frames will be established case-by-case,
depending on the number of products involved, the number of label changes, and other
factors.
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Table 15. Label Changes Summary Table for Rotenone Manufacturing-Use Products
      Description
   Amended Labeling Language for Manufacturing Use Products
         Placement on Label
 For all Manufacturing
 Use Products
"Only for formulation into a piscicide (fish kill) for the following use(s)
[MUP registrant, insert those uses that are being supported by the
RED]"

"Only for formulation into products packaged in a manner that is
compatible with a closed mixing/loading system."

"Only for formulation into products that are classified as Restricted Use."
Directions for Use
 For Wettable Powder
 Manufacturing Use
 Products
"Only for formulation into products that prohibit the use of a backpack
sprayer."
Directions for Use
 Additional Uses
"This product may be used to formulate products for any additional
use(s) not listed on the MUP label if the formulator, user group, or
grower has complied with U.S. EPA submission requirements regarding
support of such use(s)."
Directions for Use
 Environmental Hazards
 Statements Required
 by the RED and
 Agency Label Policies
"This product is extremely toxic to fish and other aquatic organisms."

"Do not contaminate water, food, or feed by storage or disposal."

"Do not discharge effluent containing this pesticide into sewage systems
without notifying the sewage treatment plant authority (POTW).	
Precautionary Statements
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Table 16. Label Changes Summary Table for Rotenone End-Use Products Intended for Occupational and Residential Use
     Description
       Amended Labeling Language for End-Use Products
        Placement on Label
 RUP
"Restricted Use Pesticide"

"Due to acute inhalation and acute oral toxicity and due to toxicity to fish
and other aquatic organisms."

"For retail sale to and use by only Certified Applicators or persons under
their direct supervision and only for those uses covered by the Certified
Applicator's certification."	
This statement must appear at the very
top of the label's front panel [see 40 CFR
156.10(j)(2)(i) for more information].
No other wording or symbols may
appear above the RUP statement.
 SOP Manual
"THIS PRODUCT MUST BE ACCOMPANIED BY AN EPA-
APPROVED PRODUCT LABEL AND THE EPA-APPROVED
'ROTENONE STANDARD OPERATING PROCEDURES MANUAL.'
THE ROTENONE STANDARD OPERATING PROCEDURES (SOP)
MANUAL IS LABELING. READ AND UNDERSTAND THE
ENTIRE LABELING AND SOP MANUAL PRIOR TO USE. ALL
PARTS OF THE LABELING AND SOP MANUAL ARE EQUALLY
IMPORTANT FOR SAFE AND EFFECTIVE USE OF THIS
PRODUCT."
Immediately below the RUP statement
on the label and on the cover page of the
Rotenone SOP Manual.
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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
PPE Requirements
Established by the
RED1
for all Formulations
"Personal Protective Equipment (PPE)"

"Some materials that are chemical-resistant to this product are" [EUP
registrant, insert correct chemical-resistant material].  "If you want
more options, follow the instructions for category" [EUP registrant,
insert A, B, C, D, E, F, G, or H] "on an EPA chemical-resistance
category selection chart."

"All mixers, loaders, applicators (except pilots), and other handlers must
wear, at a minimum, the following PPE:
* coveralls over long-sleeved shirt and long pants,
* chemical-resistant gloves,
* chemical resistant footwear plus socks, and
* a NIOSH-approved tight-fitting full-face cartridge or canister respirator
with any N, R, P, or HE filter; or a NIOSH-approved helmet or hood-
style respirator with a dust/mist filter with MSHA/NIOSH approval
number prefix TC-21C."

"In addition, mixers, loaders, and others  exposed to the concentrate,
through cleaning equipment or spills must wear:
* chemical-resistant apron."

[EUP registrant, drop the "N" type prefilter from the respirator
statement if the pesticide product contains or is used with oil.]

"See Engineering Controls for additional requirements and exceptions."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals"
User Safety
Requirements
"Follow manufacturer's instructions for cleaning/maintaining PPE.  If no
such instructions for washables exist, use detergent and hot water. Keep
and wash PPE separately from other laundry."

"Discard clothing and other absorbent materials that have been drenched
or heavily contaminated with this product's concentrate. Do not reuse
them."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the PPE requirements
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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
Engineering Controls
for Mixing/Loading
Liquid Formulations
"Engineering Controls for Mixing and Loading"

"Mixers and loaders (except mixing/loading to support backpack
sprayers) must use a closed system that is designed by the manufacturer
to remove the product from the shipping container and transfer the
product into mixing tanks and/or application equipment. At any
disconnect point, the system must be equipped with a dry disconnect or
dry couple shut-off device that will limit drippage to no more than 2 ml
per disconnect. The closed mixing/loading system must function properly
and be used and maintained in accordance with the manufacturer's
written operating instructions. Mixers and loaders must wear the personal
protective equipment required on this labeling for mixers/loaders."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the User Safety
Requirements.
Engineering Controls
for Applying Liquid
Formulations
"Applications using a boom or other mechanized equipment must release
this product below the water's surface. Applications made with aircraft
or with a backpack sprayer or other hand-held nozzle or equipment may
release this product above the water's surface."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the User Safety
Requirements.
Engineering Controls
for Mixing/Loading
Wettable Powder
Formulations
"Engineering Controls for Mixing and Loading"

"Mixers and loaders must use a closed system. The system must be
capable of removing the product from the shipping container, transferring
the product into mixing tanks and/or application equipment, and applying
the product below the water's surface. At any disconnect point, the
system must be equipped with a dry disconnect or dry couple shut-off
device that will limit drippage to no more than 2 ml per disconnect.  In
addition, mixers and loaders must wear the personal protective equipment
required on this labeling for mixers/loaders."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the User Safety
Requirements.
Engineering Controls
for Applying Wettable
Powder Formulations
"Applications using a boom or other mechanized equipment must release
this product below the water's surface. Applications with a backpack
sprayer are prohibited. Applications made with other hand-held nozzles
or equipment or with aircraft may release this product above the water's
surface."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the User Safety
Requirements.	
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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
Engineering Controls
for Aerial Applicators
"Engineering Controls for Aerial Applications"

"Open cockpits are prohibited. Pilots must use a cockpit that has a
nonporous barrier that totally surrounds the cockpit occupants and
prevents contact with pesticides outside the enclosed area. Pilots in
enclosed cockpits may wear a long-sleeve shirt, long pants, shoes, and
socks, instead of the PPE required for applicators in the PPE section of
this labeling."	
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the User Safety
Requirements.
Engineering Controls
Exception for Boat
Applications
"Engineering Controls for Boat Applications"

"When boat pilots or others on the application boat are located within an
enclosed area that has a nonporous barrier that totally surrounds the
occupants and prevents contact with pesticides outside the enclosed area,
they:
* may wear a long-sleeve shirt, long pants, shoes, and socks, instead of
the PPE required for applicators in the PPE section of this labeling.
* must be  provided and have immediately available for use in an
emergency when they must exit the enclosed area while application is
taking place, the PPE required for applicators in the PPE section of this
labeling;
* must take off any PPE that was  worn while outside the enclosed area
before reentering the enclosed area, and
* store all such used PPE in a chemical-resistant container, such as a
plastic bag, to prevent contamination of the inside  of the enclosed area."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the User Safety
Requirements.
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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
User Safety
Recommendations
"User Safety Recommendations"

"Certified Applicators applying or supervising the application of this
product should attend a training program for piscicide applications."

"Users should wash hands before eating, drinking, chewing gum, using
tobacco, or using the toilet."

"Users should remove clothing/PPE immediately if pesticide gets inside.
Then wash thoroughly and put on clean clothing."

"Users should remove PPE immediately after handling this product.
Wash the outside of gloves before removing.  As soon as possible, wash
thoroughly and change into clean clothing."
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below the Engineering
Controls.

(These statements must be placed in a
box.)
Environmental Hazards
"Environmental Hazards"

"This product is extremely toxic to fish and other aquatic organisms."

"Do not contaminate water by cleaning of equipment or disposal of
equipment wash waters."

"Do not contaminate water, food, or feed by storage or disposal."

"Do not discharge effluent containing this pesticide into sewage systems
without notifying the sewage treatment plant authority (POTW)."	
Precautionary Statements under the
heading "Hazards to Humans and
Domestic Animals" immediately
following/below User Safety
Recommendations
Personal Protective
Equipment When Re-
entering Treated Areas
"Re-entering the Treatment Area"

"For the first 72 hours after treatment, handlers re-entering the treatment
area, including shorelines, must wear, at a minimum, the following PPE:
* Coveralls over long-sleeved shirt and long pants,
* Chemical-resistant gloves,
* Chemical resistant footwear plus socks, and
* Chemical-resistant apron."
Direction for Use under the heading
"Re-Entering the Treatment Area"
                                                               40

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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
Complete and Partial
kills
"Complete and Partial Kills"

"This product may be used to achieve a 'complete kill' or a 'partial kill.'
Complete kills are intended to eliminate all fish in the treatment area
whereas partial kills are intended eliminate or reduce the number of only
certain (more vulnerable) species or to sample fish populations.  Detailed
instructions for conducting complete and partial kills are presented in the
Rotenone SOP Manual."
Directions for Use under the heading
"Complete and Partial kills"
General Application
Restrictions for all
Formulations
General Application
"The Certified Applicator supervising the treatment must remain on-site
for the duration of the application."

"Do not allow recreational access (e.g., wading, swimming, boating,
fishing) within the treatment area while rotenone is being applied."

"In lakes/reservoirs/ponds, do not apply this product in a way that will
result in treatment concentrations greater than 200 parts per billion."

"In streams/rivers, do not apply this product in a way that will result in
treatment concentrations greater than 50 parts per billion."

"Do not apply this product in a way that will contact workers or other
persons, either directly or through drift. Only protected handlers may be
in the area during application."

"This product must not be applied to estuarine or marine environments."

"Where practical, users should collect and bury dead fish on the surface
of the treatment area."
"Applications using a boom or other mechanized equipment must release
Directions for Use
Directions for Use
Restrictions for Liquid
Formulations
this product below the water's surface. Applications made with aircraft
or with a backpack sprayer or other hand-held nozzle or equipment may
release this product above the water's surface."
                                                                41

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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
General Application
Restrictions for
Wettable Powder
Formulations
"Applications using a boom or other mechanized equipment must release
this product below the water's surface. Applications with a backpack
sprayer are prohibited. Applications made with other hand-held nozzles
or equipment or with aircraft may release this product above the water's
surface."
Directions for Use
Monitoring
Requirements for Use
in Aquaculture
"For treated water bodies used for food production (aquaculture), the
Certified Applicator or designee under his/her direct supervision must
prohibit restocking offish until monitoring samples confirm rotenone
concentrations are below the level of detection for 3 consecutive samples
taken no less than 4 hours apart."

"Detailed instructions for monitoring levels of rotenone in water are
presented in the Rotenone SOP Manual."	
Directions for Use under the heading
"Monitoring Samples"
Drinking Water
Notification
Requirements
"Drinking Water Notification"

If drinking water intakes are present within the treatment area, prior to
application, the Certified Applicator must provide notification to the
party responsible for the public water supply or to individual private
water users.

"Detailed instructions for notifications are presented in the Rotenone
SOP Manual."
Directions for Use under the heading
"Drinking Water Notification"
                                                                42

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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
Notification
Requirements for all
applications
"Placarding of Treatment Areas"

"The Certified Applicator in charge of the application (or someone under
his/her supervision) must placard all access areas to the treatment area.
Detailed instructions for placarding are presented in the Rotenone SOP
Manual. At a minimum, placards must be placed every 250 feet
(including the shoreline of the treated area and up to 250 feet of shoreline
past the application site to include immediate public access points) and
contain the following information:"
   "NOTICE: AREA CLOSURE"
   * Skull and crossbones symbol
   * "DANGER/PELIGRO"
   * "DO NOT ENTER/NO ENTRE: Pesticide Application"
   * The name of the product applied
   * The agency or entity performing the application
   * The purpose of the application
   * The start date and time of application
   * The end date and  time of application
   * The duration of the area closure
   * "Recreational access (e.g., wading, swimming, boating, fishing)
   within the treatment area is prohibited while rotenone is being
   applied."
   * "Do not swim or wade in treated water for a minimum of 72 hours
   after the last application."
   * "Do not consume dead fish from treated water."
   * The name, address, and telephone number of the Certified
   Applicator in charge of the application

"Signs must remain legible during the entire posting period and  must be
removed no earlier than 3 days after treatment and no later than  14 days
after treatment."
Directions for Use under the heading
"Placarding of Treatment Areas"
                                                               43

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     Description
        Amended Labeling Language for End-Use Products
         Placement on Label
Deactivation with
Potassium
Permanganate
"Deactivation with Potassium Permanganate"

"Effluent water must be deactivated with potassium permanganate to
prevent exposure beyond the defined treatment area. Detailed
instructions for deactivation with potassium permanganate are presented
in the Rotenone SOP Manual."
Directions for Use under the heading
"Deactivation with Potassium
Permanganate (KMnO4)"
Spray Drift Label
Language for Products
Applied as an Aerial
Spray
RELEASE HEIGHT:
"Do not release spray at a height greater than 10 feet above the water."

BOOM LENGTH:
"The boom length must not exceed 75% of the wingspan or 90% of the
rotor blade diameter."

SWATH ADJUSTMENT:
"When applications are made with a cross-wind, the swath will be
displaced downwind. The applicator must compensate for this
displacement at the downwind edge of the application area by adjusting
the path of the aircraft upwind. Leave at least one swath unsprayed at the
downwind edge of the treated area."

DROPLET SIZE:
"Apply as a medium or coarser spray (ASAE standard 572)."

WIND SPEE:
"Do not apply when wind speeds are greater than 12 miles per hour."
Directions for Use under the heading
"General Precautions and Restrictions"
1 PPE that is established on the basis of Acute Toxicity of the end-use product must be compared to the active ingredient PPE in this document. The more
protective PPE must be placed in the product labeling. For guidance on which PPE is considered more protective, see PR Notice 93-7.
                                                              44

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