Monsanto v. Durnell · ¶78
EPA, meanwhile, also has many ways of ensuring a pesticide’s continued compliance with FIFRA. EPA does not sit in an information-free silo. It keeps abreast of new safety developments. EPA may request additional information from manufacturers whenever the Agency “determines that additional data are required to maintain” a pesticide’s registration. §136a(c)(2)(B)(i). And EPA possesses ample resources to evaluate that information. EPA may solicit “comments, evaluations, and recommendations” to “improve the effectiveness and quality” of EPA’s “scientific analyses” from scientific advisory panels. §136w(d)(1).Read in context ›
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