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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Several states have already done so. The CPSC has asserted that it has no authority to stay the effective date of the actual safety standards for anyone; 69 therefore, there has been no yr4040 of safety standards for small businesses that might suffer a greater economic impact from the requirements of the CPSIA.

Consumer Product Safety Improvement Act

The implementation of new product standards for lead and phthalates in particular have caused controversy. The staggered deadlines facilitated gradual phasing in of the new requirements. Under the CPSA as amended by the CPSIA, the CPSC has the authority to designate by rule whether the manufacturer or importer or private labeler must issue the required certificate and to relieve the other parties from the requirement to furnish certificates.

New safety standards and testing and certification requirements have caused confusion and concern about possible exemptions to and appropriate compliance with new standards, compliance with testing and certification requirements, and disputes about CPSC interpretation of new standards.

Import for testing, for demonstration at trade shows, or re-export would not require such certification unless later distributed and sold for consumption. For the furniture industry, this means that the plastic parts on cribs, toddler beds and mattresses cannot contain any phthalates. Some members have urged that hearings be held to consider implementation problems and whether legislation may be appropriate.

Shadegg and introduced February10, ; H. In addition to strengthening the regulatory and enforcement authority of the Consumer Product Safety Commission, the new law established new safety standards, such as ht4040 for lead content and phthalates, and testing and certification requirements, focusing particularly on children’s products.

The California Attorney General concludes. Thus, unit testing would result in certifying the safety of a product which has unsafe components that could be swallowed cpisa a child. This raises the question of whether corporate officers can legitimately claim inventory in their current borrowing base. Can’t find what you’re looking for?

Consumer Product Safety Improvement Act (CPSIA) Compliance Solutions

The CPSC has no authority to regulate any risk of injury associated with electronic product radiation emitted from an electronic product if such risk may be regulated under the Public Health Act the Food and Drug Administration.


Some of the new requirements established by the CPSIA necessitated a definition of what constituted a “children’s product.

The third-party testing and certification requirement for the lead-based paint standard was the first to take effect, on December 21, Several factors are to be considered in determining whether a product is primarily intended for a child 12 years of age or younger, including: In addition to the advisory opinions, the CPSC has made available draft guidance regarding what children’s products are subject to the phthalates ban; the guidance elaborates on what constitutes a toy, a toy that can be placed in the mouth, or a child care article.

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. 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.

Manufacturers also point out that even if they were to attempt to comply, there are logistical problems. Additionally, business stakeholders, including manufacturers and second-hand resellers, have been vocal in demanding legislative action to resolve problems businesses perceive in the CPSIA and its implementation.

Reasonably foreseeable use and abuse shall include to [sic], swallowing, mouthing, breaking, or other children’s activities, and the aging of the product to a child during normal and reasonably foreseeable use and abuse of the product.

In public meetings conducted by the CPSC staff with regard to the CPSIA implementation, the staff has also acknowledged the issues posed by some home design items and sporting goods.

Applicable safety rules do not include voluntary safety standards, only mandatory standards, such as those in title 16 of the Code of Federal Regulations, that have been promulgated under a statute enforced by the CPSC.

Get in touch to find out more. See the Commissioners’ statements and directions to CPSC staff to develop elements of a stay-of-enforcement plan available at http: Nondestructive analysis Spot test incoming materials Spot test materials in stock or on the shelves Fast screening provides answers in seconds Analyze multiple components on each product More request more information right here!

Need help or have a question? Applicability of Certain New Product Standards The implementation of new product standards for lead and phthalates in particular have caused controversy.

Letter to President Obama from the leaders of several consumer groups, dated Jan. A range of implementation issues have arisen, including uncertainty about possible exemptions to and appropriate compliance with new standards, compliance with testing and certification requirements, disputes about Commission interpretation of new standards, and the particular concerns of small businesses and of non-profit resellers.


Additionally, hr0440 the Act a Publicly Available Consumer Product Safety Information Database where consumers can directly report harm or merely a risk of harm officially launched on March 11, Because of the expanded scope of this requirement and the new safety standards under the CPSIA, products that previously were not cpska to this requirement now are, to the surprise of some manufacturers and importers.

The manufacturer or importer may determine for itself what constitutes a reasonable testing program. 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 cpsis provide for exemptions from certain requirements and for special consideration for small businesses and second-hand retailers.


Consumer Product Safety Improvement Act (CPSIA) | AHFA

In both cases, the CPSC cited a need to implement further rulemaking and to give manufacturers more time to comply. Formally confirming that your c;sia and services meet all trusted external and internal standards. The first deadline came up in September, and several hd4040 deadlines came up in February The S1 TITAN handheld XRF gun can help you verify accuracy of documentation and confirm for your own peace of mind that products coming in and out of your control are in compliance.

A schedule for testing is found in Section a 3 B and shows:.

Consumer Product Safety Improvement Act – Wikipedia

See comments available at http: Though many of these later turned out to be problems with design rather than manufacture, [11] public pressure was increased as the result of at least one case of lead poisoning [12] and subsequent issues with tainted pet food [13] and other products shipped from China. The Senate report for S. The law has a provision for exceptions to be made by the CPSC, but it has not done so for these products as of March State preemption petition packages for Arizona, California, Illinois, and New York, available at http: