The application for registration must include:
- a completed registration application form (see Forms + Resources);
- a copy of the soil/plant amendment product label(s); and
- the appropriate application fees (Minn. Stat. 18C.425).
Application Fee
- The annual application fee for registration of each soil/plant amendment product distributed is $200.
- Application fees are nonrefundable. Therefore, we recommend that copies of labels or proposed labels be submitted to us for review and comment prior to submission of a registration application. This may prevent the loss of fees in case a product registration is denied
Registration Period
- The registration period is effective until January 1 following the date of issuance or approval.
- A product registration is not transferable from one person to another, or from the ownership to whom the registration is issued to another ownership.
Renewal
- The application for renewal of a registration of a product must be filed with us on or before December 31 the previous year or an additional application (penalty) fee of one-half of the application fee ($100) is due.
Registration Discontinuation
Soil/plant amendments are given two years to clear the channel of trade. Use one of the following two options to discontinue the registration of soil/plant amendments,:
- Complete the two-year discontinuation process by registering a soil/plant amendment for two years after distribution or sale has ceased.
- Provide documentation showing that no soil/plant amendment product has been distributed or sold into or within the state for the last two years.
Products Requiring Registration
The State of Minnesota defines soil and plant amendments as follows:
Soil Amendment: a substance intended to improve the structural, physical, or biological characteristics of the soil or modify organic matter at or near the soil surface, except fertilizers, agricultural liming materials, pesticides, and other materials exempted by the commissioner's rules.
Plant Amendment: a substance applied to plants or seeds that is intended to improve germination, growth, yield, product quality, reproduction, flavor, or other desirable characteristics of plants except fertilizers, soil amendments, agricultural liming materials, pesticides, and other materials that are exempted by rule.
Examples of products that typically require registration as soil/plant amendments include, but are not limited to:
Product Examples |
Microbial inoculants |
Humic and fulvic acids |
Compost |
Garden soil |
Enzymes |
Surfactants/wetting agents |
Coir* |
Clay, vermiculite |
Peat* |
Biochar |
Gypsum |
Plant extracts |
Perlite |
*If product is intended to be mixed into soil
If you are unsure if a product requires registration, please contact the MDA for guidance.
Agenda
Date: June 17, 2024
Time: 10:00 a.m - 2:30 p.m.
Individuals needing to take the CAWT Site Manager test for the solid or liquid
Technicians licensed in the Commercial Animal Waste Technician (CAWT) license categories of Site Manager and Applicator mu
Josh Stamper, MDA, welcomed participants to the meeting, emphasized the importance of discussion and member feedback, encouraged members to reapply, and touched on revisions to the Pesticide Management Plan and MDA’s recent comments to the Environmental Protection Agency (EPA). PMPC Members and MDA leadership introduced themselves.
Kate Hall (meeting facilitator), MDA, went through housekeeping items and presented background slides on PMPC. The presentation provided an overview of the MDA’s Pesticide Management Plan, “common detection” and “surface water pesticide of concern” designations, and select comments received from members the previous year. The MDA’s Indigenous Land Acknowledgement statement was read.
It was requested that the MDA send a formal response to PMPC members’ and that the MDA’s response to comments be added to the agenda for next year’s meeting.
Josh Stamper, MDA, welcomed participants to the meeting, emphasized the importance of discussion and member feedback, encouraged members to reapply, and touched on revisions to the Pesticide Management Plan and MDA’s recent comments to the Environmental Protection Agency (EPA). PMPC Members and MDA leadership introduced themselves.
Kate Hall (meeting facilitator), MDA, went through housekeeping items and presented background slides on PMPC. The presentation provided an overview of the MDA’s Pesticide Management Plan, “common detection” and “surface water pesticide of concern” designations, and select comments received from members the previous year. The MDA’s Indigenous Land Acknowledgement statement was read.
It was requested that the MDA send a formal response to PMPC members’ and that the MDA’s response to comments be added to the agenda for next year’s meeting.
MDA Presenter: Bill VanRyswyk
The presentation provided an overview of the MDA’s monitoring program and introduced the main sections of the 2023 report. Changes to the 2023 analyte list were highlighted along with groundwater and surface water program design elements.
MDA Presenter: Bill VanRyswyk
The presentation provided an overview of the MDA’s monitoring program and introduced the main sections of the 2023 report. Changes to the 2023 analyte list were highlighted along with groundwater and surface water program design elements.
MDA Presenter: Dave Tollefson
The presentation focused on the surface water results from the 2023 monitoring season. Pesticide waterbody impairments were presented along with an overview of how Minnesota water quality standards are used to evaluate data. Current surface water pesticides of concern were reviewed, and trend maps were presented showing changes in detection frequency and concentration for individual PMRs. Comparisons of detected concentrations to relevant standards or guidance values (i.e., reference values) were also presented, focusing on pesticides detected at concentrations >10% and >50% of relevant reference values.
Discussion focused on:
- Pyrethroid insecticides
- Testing of sediments and the potential additive effects of pyrethroid insecticides were discussed. The MDA does not sample sediments for pesticide residues, and pyrethroids are evaluated individually because only individual chemical aquatic life benchmarks are available. The potential importance of evaluating additive effects from pesticides with similar modes of action was further discussed along with the challenges of doing so.
- Neonicotinoid use
- The percentage of corn and soybean seed treated with neonics was discussed. The MDA noted that an estimated 40% of soybean seed is treated with a neonic and 99% of corn seed is treated with a neonic.
- Imidacloprid urban detections were also discussed in relation to its non-agricultural uses including residential lawn grub treatments and emerald ash borer management.
- Toxicological basis for reference values
- The toxicity data used to determine reference value concentrations was discussed with respect to the test species used, consideration for plants like wild rice and treaty protected resources, and the limitations of toxicity data for single chemicals.
- Unspecified reference values for degradates
- The lack of a chemical specific reference value was discussed in relation to pyroxasulfone M1, a degradate of pyroxasulfone. When a degradate-specific reference value is not available, the MDA will typically use the parent reference value. The EPA does not provide an aquatic life benchmark for pyroxasulfone M1, and data was not available through the EPA’s ecological risk assessment for the MDA to calculate a chemical-specific value.