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Pesticide Devices: A Guide for Consumers | US EPA
Pesticide Devices: A Guide for Consumers | US EPA
****!!!!****!!!!**** "Pesticide application equipment that is sold separately from the pesticide itself is not a device or a pesticide. For example, a sprayer for a lawn herbicide that is sold separately from the herbicide is considered to be application equipment, which EPA does not regulate." "Device producers or registrants should see our Pesticide Registration Manual, Chapter 13 for information."
·epa.gov·
Pesticide Devices: A Guide for Consumers | US EPA
Antimicrobials and Microbes Indoors: How to Best Promote Indoor Environmental Quality
Antimicrobials and Microbes Indoors: How to Best Promote Indoor Environmental Quality
****!!!!****!!!!*** "47:00 ...designed to inhibit the growth and persistence of bacteria and enveloped viruses on textile surfaces." "1:10:00 [Re. use of chemical disinfectants] I would like to see more research in this area and in the meantime excercise restraint." "1:11:00 resistant fungal infections"
·youtube.com·
Antimicrobials and Microbes Indoors: How to Best Promote Indoor Environmental Quality
Expedited Review for Adding Electrostatic Spray Application Directions for Use to Antimicrobial Product Registrations | Pesticide Registration | US EPA
Expedited Review for Adding Electrostatic Spray Application Directions for Use to Antimicrobial Product Registrations | Pesticide Registration | US EPA
Electrostatic Spray Application Directions for Use to Antimicrobial Product Registrations. Products intended for use against the SARS-CoV-2, the novel human coronavirus that causes COVID-19
·epa.gov·
Expedited Review for Adding Electrostatic Spray Application Directions for Use to Antimicrobial Product Registrations | Pesticide Registration | US EPA
****Enforcement Policy for Sterilizers, Disinfectant Devices, and Air Purifiers During the (COVID-19) Public Health Emergency ~FDA
****Enforcement Policy for Sterilizers, Disinfectant Devices, and Air Purifiers During the (COVID-19) Public Health Emergency ~FDA
****!!!!****!!!!**** {510(k) exemptions for COVID.} "FDA considers chemical/physical disinfectant devices to encompass chemical disinfectant solutions used to disinfect medical devices." "Medical devices disinfectors... exempt from premarket review." "during the declared public health emergency, FDA does not intend to object to the distribution and use of sterilizers, disinfectant devices, and air purifiers that are intended to be effective at killing the SARS-CoV-2 virus but do not already have FDA marketing authorization, without compliance with the following regulatory requirements where such devices do not create an undue risk in light of the public health emergency: prior submission of a premarket notification under section 510(k) [and some other requirements]. FDA believes such devices will not create such an undue risk where the performance and labeling elements... are met." "If the device generates ozone, FDA recommends that the manufacturer evaluate whether the product is within the maximum acceptable level of ozone given in 21 CFR 801.415." [****It sounds like chlorine dioxide could be used if stays below regulated air levels. FDA has endorsed ClO2 standards for air related to food processing [ but need to check FDA's approved air concentrations for around people]. EPA has approved safety of air concentrations at specific levels around people.****]
·fda.gov·
****Enforcement Policy for Sterilizers, Disinfectant Devices, and Air Purifiers During the (COVID-19) Public Health Emergency ~FDA
COVID-19 Control and Prevention ~OSHA
COVID-19 Control and Prevention ~OSHA
Employers are responsible for complying with PPE standards, including Respiratory Protection. However, OSHA is providing temporary enforcement flexibility. Webpage also includes Guidance, including for specific types of worker groups.
·www.osha.gov·
COVID-19 Control and Prevention ~OSHA