An opened RUP container is a container that has its seal broken.
Could you provide examples of scenarios where a license is or isn’t required? Mini-bulk, 2.5 sealed jug, 2.5 partial jug, open bag of an RUP.
- Mini-bulk- if sealed - no license required
- 2.5 sealed RUP jug - no license required
- 2.5 open RUP jug - license is required
- 2.5 partial RUP jug - license is required
- Open bag of RUP- license required
Any RUP container/jug/bag that has not been opened can be handled by an unlicensed individual.
An opened RUP container is a container that has its seal broken.
Could you provide examples of scenarios where a license is or isn’t required? Mini-bulk, 2.5 sealed jug, 2.5 partial jug, open bag of an RUP.
- Mini-bulk- if sealed - no license required
- 2.5 sealed RUP jug - no license required
- 2.5 open RUP jug - license is required
- 2.5 partial RUP jug - license is required
- Open bag of RUP- license required
Any RUP container/jug/bag that has not been opened can be handled by an unlicensed individual.
A “sealed container” has the original manufacturers or repack seal intact. Handling of partially used containers needs a license.
What are the compliance expectations for handling these containers?
The MDA compliance expectations of bulk and partially used containers are- if anyone is handling partially use restricted use chemical containers, they need a license.
A “sealed container” has the original manufacturers or repack seal intact. Handling of partially used containers needs a license.
What are the compliance expectations for handling these containers?
The MDA compliance expectations of bulk and partially used containers are- if anyone is handling partially use restricted use chemical containers, they need a license.
If the nurse/tender truck does not mix, load, and/or handle open RUPs, they do not need a license.
Does the MDA have additional guidance for drivers involved only in transportation?
If the driver does not mix, load, and/or handle open RUPs, they do not need a license otherwise they need a license.
If the nurse/tender truck does not mix, load, and/or handle open RUPs, they do not need a license.
Does the MDA have additional guidance for drivers involved only in transportation?
If the driver does not mix, load, and/or handle open RUPs, they do not need a license otherwise they need a license.
These legislative changes were effective on August 1. The MDA needed some time to update online and paper application forms for different licensures to add the new requirements; hence, the MDA letter went out on August 6th. The MDA had been notifying the pesticide industry about these new changes through recertification workshops and pest industry association meetings.
Will there be a grace period for compliance? The letter states August 1st for compliance. It would be helpful for the MDA to outline their “path” to compliance/enforcement?
The MDA has started communication with pesticide industry on these legislative changes.
Minimum age requirement went in effect on August 1, 2024. Those who have already acquired a license at less than 18 years will remain licensed until their license expires. They will not be able to renew their license if they remain under 18 years old.
Mixer/loader/handler requirement went in effect on August 1, 2024, and MDA will continuously disseminate the information on this new requirement through different channels for the next three years to bring people in compliance who mix/load/handle open RUPs.
These legislative changes were effective on August 1. The MDA needed some time to update online and paper application forms for different licensures to add the new requirements; hence, the MDA letter went out on August 6th. The MDA had been notifying the pesticide industry about these new changes through recertification workshops and pest industry association meetings.
Will there be a grace period for compliance? The letter states August 1st for compliance. It would be helpful for the MDA to outline their “path” to compliance/enforcement?
The MDA has started communication with pesticide industry on these legislative changes.
Minimum age requirement went in effect on August 1, 2024. Those who have already acquired a license at less than 18 years will remain licensed until their license expires. They will not be able to renew their license if they remain under 18 years old.
Mixer/loader/handler requirement went in effect on August 1, 2024, and MDA will continuously disseminate the information on this new requirement through different channels for the next three years to bring people in compliance who mix/load/handle open RUPs.
There will not be a separate “handler” license; Minnesota statute does not allow non-certified applicators to work under the supervision of a certified applicator.
What are the challenges or barriers to implementing these options?
The MDA licensing software shows that there are only handful of certified applicators who are under 18 years and secondly, the MDA has limited the mixer/loader/handler license to those who work with open RUP products. A certified applicator, in addition to application, can mix/load/handle RUP with their current licensure. MDA will be working with the industry to bring these new people (who mix/load/handle RUPs) in compliance for the next three years.
There will not be a separate “handler” license; Minnesota statute does not allow non-certified applicators to work under the supervision of a certified applicator.
What are the challenges or barriers to implementing these options?
The MDA licensing software shows that there are only handful of certified applicators who are under 18 years and secondly, the MDA has limited the mixer/loader/handler license to those who work with open RUP products. A certified applicator, in addition to application, can mix/load/handle RUP with their current licensure. MDA will be working with the industry to bring these new people (who mix/load/handle RUPs) in compliance for the next three years.