WebApr 9, 2024 · The Consumer Product Safety Commission (Commission or CPSC) is issuing a direct final rule to codify in the Code of Federal Regulations the statutory requirements for the flammability of upholstered furniture under the COVID-19 Regulatory Relief and Work From Home Safety Act. WebFor more information on the requirements for hazardous substances, contact the U.S. Consumer Product Safety Commission: Office of Compliance (for specific enforcement inquiries): e-mail: [email protected]; telephone: (800) 638-2772. Small Business Ombudsman (for general assistance understanding and complying with CPSC …
Mattresses and Mattress Pads Flammability CPSC.gov
WebApr 12, 2024 · This recall involves children's robes. The robes consist of 100% cotton, have two functional front pockets and an attached belt. The robes were gifted in children's sizes 0 through 6T and in ... WebThe standard covers heating, ventilation, and air conditioning systems in residential applications and includes requirements for flammable refrigerants. This meeting was requested by the ASHRAE Standard 15.2 committee. For more information on how to participate, please contact Scott Ayers ([email protected]). Transmitted to the Office of … incompetent\u0027s b6
Crib Mattresses Business Guidance and Small Entity ... - CPSC.gov
WebIt’s not as complicated as it seems. 16 CFR part 1640 simply adopts flammability standard CA TB 117-2013 at the federal level and requires that the manufacturer (or in this case, the upholsterer) certify and label each product with the statement “Complies with U.S. CPSC requirements for upholstered flammability.” WebMar 31, 2024 · This Act mandates that CPSC has to promulgate California Technical Bulletin 117–2013 as a flammability standard under section 4 of the Flammable Fabrics Act. The rule will be effective from 25 June 2024 and compliance with the labeling requirement in § 1640.4 should start by 25 June, 2024. WebApr 13, 2024 · The U.S. Consumer Product Safety Commission (CPSC) is charged with protecting the public from unreasonable risk of injury or death associated with the use of thousands of types of consumer products. Deaths, injuries, and property damage from consumer product-related incidents cost the nation more than $1 trillion annually. incompetent\u0027s f1