MISBRANDED- The shipment that arrived at the border for import was in violation of FIFRA section 12(a)(1)(e), 7 U.S.C. ? 136j(a)(1)(e), because a registrant, wholesaler, dealer, retailer, or other distributor sold or distributed a pesticide which is misbranded in that the labeling has a statement, design, or graphic representation that is false or misleading. The label for the product that attempted import did not have the following required language, ?and waterproof gloves?.
NO PGA DATA- The shipment that arrived at the border for import is also in violation of FIFRA section 12(a)(2)(N), 7 U.S.C. ? 136j(a)(2)(N), because a registrant, wholesaler, dealer, retailer, or other distributor failed to correctly file reports required by the Act. As required by 19 C.F.R. section 12.114, a Notice of Arrival of Pesticides and Devices (NOA), EPA form 3540-1, and a copy of one product label must be submitted.
For all four pesticides: FAILURE TO FILE REPORTS - The pesticide producer establishment where these products were produced, 71653-CAN-01, has not submitted their 2023 Annual Pesticide Production Report, therefore it is in violation of 12(a)(2)(B)(i), an establishment refused to PREPARE, MAINTAIN, or SUBMIT any RECORDS required under sections 5, 7,ii 8, 11, or 19.