The Fair Packaging and Labeling Act (FPLA or Act), enacted in 1967, directs the Federal Trade Commission and the Food and Drug Administration to issue regulations requiring that all "consumer commodities" be labeled to disclose net contents, identity of commodity, and name and place of business of the product's manufacturer, packer, or distributor. About the FTC Show/hide About the FTC menu items.News and Events Show/hide News and Events menu items.Advice and Guidance Show/hide Advice and Guidance menu items.Competition and Consumer Protection Guidance Documents.Enforcement Show/hide Enforcement menu items.Please look there for product guidance, keys to compliance and frequently asked questions and answers. We have posted valuable business guidance in our Business Education /CPSIA section. Phthalate limits in toys and certain child care articles contained in Section 108 of the CPSIA.Lead limits in paint and substrates: Lead limits are contained in Section 101 of the CPSIA and are further regulated under the Consumer Product Safety Act and Federal Hazardous Substances Act regulations.Testing and Certification, including initial testing, periodic testing & material change testing requirements, as well as possible testing cost relief associated with component parts.Durable Infant or Toddler Product Safety Standards: Scroll down the page to Subchapter B.All of CPSC’s current regulations are available in Title 16 of the Electronic Code of Federal Regulations. Regulations:ĬPSC has and is continuing to implement regulations based on CPSIA. These GCC’s apply to products subject to a consumer product safety rule or any similar CPSC rule, ban, standard or regulation enforced by the Commission.įinally, the CPSIA lists special requirements in Section 104 for certain durable infant and toddler products, including cribs.Īre you looking for CPSIA business guidance? This is available on our Business Education / CPSIA page. The CPSIA also requires domestic manufacturers or importers of non-children’s products to issue a General Certificate of Conformity (GCC). Have permanent tracking information affixed to the product and its packaging where practicable. Have a written Children’s Product Certificate that provides evidence of the product’s compliance and.Be tested for compliance by a CPSC-accepted accredited laboratory, unless subject to an exception.Comply with all applicable children’s product safety rules.The CPSIA defines the term “children’s product” and generally requires that children’s products: The CPSIA also repealed a challenging agency funding limitation and increased the number of authorized CPSC commissioners from three to five. The CPSIA included provisions addressing, among other things, lead, phthalates, toy safety, durable infant or toddler products, third-party testing and certification, tracking labels, imports, ATVs, civil and criminal penalties and, a publically-searchable database of reports of harm. This landmark consumer product safety law amended CPSA in 2008 and provided CPSC with significant new regulatory and enforcement tools as part of amending and enhancing several CPSC statutes, including the Consumer Product Safety Act.
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