The Consumer Product Safety Improvement Act (CPSIA) of is a United States law signed on August 14, by President George W. Bush. The legislative bill was known as HR , sponsored by Congressman. Consumer Product Safety Improvement Act (CPSIA) Compliance Solutions. At the end of , the U.S. Consumer Product Safety Commission (CPSC) voted to. CPSIA stands for the Consumer Products Safety Improvement Act of Total Lead Content (US CPSIA Act of H.R. , Title 1, Section ).
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Gov Goes Live — Aprilp. The CPSIA required the CPSC to issue accreditation requirements for such laboratories and maintain a list of accredited laboratories and set deadlines by which the CPSC was required to publish accreditation requirements based on the type of product being tested by the laboratory. Topic Areas About Donate.
Consumer Product Safety Improvement Act (CPSIA) Compliance Solutions
Manufacturers also point out that even if they fpsia to attempt to comply, there are logistical problems. State agencies have jurisdiction over fixed rides that are located in a park in their jurisdiction. Through our network of over 43, people in 1, laboratories and offices in countries, Intertek provides quality and safety solutions to a wide range of industries around the world.
Webarchive template wayback links All articles with unsourced statements Articles with unsourced statements from March Other manufacturers point out the problem of defining “children’s products. Large manufacturers tend to be very leveraged, and use their eligible inventory as their borrowing base. The CPSC Office of General Counsel memorandum concerning lead standards and inventory concluded that inventory of noncompliant products may not be sold after the effective dates of each phase of the lead standard.
Component Testing ,” Fashion-Incubator. These certificates must accompany the product through the distribution chain through the retailer.
For the purpose of the exemptions described above, paint, coatings, or electroplating are not considered to be a barrier that would render lead in the substrate inaccessible to a child, or to prevent absorption of any lead into the human body.
Final product testing may actually be counterproductive if, for example, a solid lead button is tested as part of a larger product. See accreditation guidelines available at http: State preemption petition packages for Arizona, California, Illinois, and New York, available at http: See information related to the CPSC public meeting on phthalates available at http: In addition to strengthening the regulatory and enforcement authority of the CPSC, the new law established new safety standards, such as those for lead content and phthalates, and testing and certification requirements, focusing particularly on children’s products.
Manufacturers, both large and small, have protested the extremely short timelines, the failure to take into account manufacturing processes, and the failure to take into account the breadth of the impact.
Based on the actual publication date of the relevant accreditation guidelines, certification and testing is required for lead paint on hr040 products manufactured after December 21, ; for cribs and pacifiers manufactured after January 20, ; for children’s products with small parts manufactured after February 15, ; and for children’s metal jewelry manufactured after March 23, Search all mandatory standards and regulations below. This report will describe the new requirements for certification and testing and the effect of the stay of enforcement of these requirements announced by the CPSC, certain new safety standards established by the CPSIA and related implementation actions and issues, implementation issues faced by small businesses and second-hand retailers, and legislative proposals to amend the CPSIA to provide for exemptions from certain requirements and for special consideration for small businesses and second-hand retailers.
Small Businesses Small businesses have asserted that the CPSIA disproportionately affects them with regard to inventory loss due to noncompliance with the new lead and phthalates standards and the costs of third-party testing. Send us a request Need help xpsia have a question?
The third party testing requirement for lead content was originally set by the CPSIA at ppm, but dropped to ppm in August, Safety Comm ‘ n49 a lawsuit filed by consumer cpssia groups, 50 a federal district court struck down an advisory opinion of the CPSC’s Office of General Counsel OGC that interpreted the phthalates ban as applying only to products manufactured after the cpsiw date of the new ban February 10, and thus effectively permitted the continued sale of existing noncompliant inventory after Cpsai 10, Manufacturers have been urged to register with the Hr0440 so they receive prompt notification if a complaint is filed against them.
The accreditation guidelines for certain products have been completed and testing and certification is already in effect for those safety standards.
In determining whether a consumer product is primarily intended for a child 12 years of age or younger, the following factors will be considered:. Please retype letters below: Consumer attention and concern were roused by several well-publicized national recalls of various toys and children’s products.
Five specific provisions contain requirements impacting residential furniture:. Testing may be done by in-house, proprietary laboratories of a manufacturer only under certain conditions, such as firewalling insulation and independence from influence and direction of the manufacturer concerning testing and appropriate accreditation. Since the latter date, a certificate based on third-party testing for the lead-based paint standard must be issued for a children’s product, together with a general conformity certification for any standards applicable to that product for which third-party testing and certification requirements have not taken effect.
They must be available to the CPSC during any inspection. The cpsoa of new product standards for lead and phthalates in particular have caused controversy. Validating the specifications, value and safety of your raw materials, products and assets. For public companies, it raises the issue of whether those officers are making false representations, introducing the specter of criminal liability under Sarbanes-Oxley. Some of the new requirements established by the CPSIA necessitated a definition of what constituted a “children’s product.
Consumer Product Safety Improvement Act (CPSIA) | AHFA
Those can be combined in limitless ways and in various sizes. When tested separately, the button would fail, but when mixed together with the other inputs, the final total lead content may fall below the standard. Member Login Remember Me. Testing all of the final products generally provides no more information than would testing the individual inputs or “components”but is vastly more expensive.
The new standard for lead content in children’s products has provoked consternation among manufacturers of some products who assert that there should be an exemption for certain products presenting a “low risk” of exposure to lead. Also, states may petition the CPSC for exemption from hg4040 of state standards.