Friday, July 26, 2013

Retailers and Importers May be Subject to More CPSC Certificate Requirements?


Ever Heard of a “Finished Product Certificate?”   Or a “Component Part Certificate?”
 

These are but two (2) of a list of new definitions that the Consumer Product Safety Commission (CPSC) is proposing to implement, and with newly defined terms of course, come new requirements.

Certification by a private labeler for products manufactured in the US is one of the proposed new rules, as well as the requirement by an importer of regulated finished products manufactured outside of the US to file its mandatory certificate at the time of filing the entry (and entry summary, if filed together).
Last Weekend To Get Your Comments in to CPSC on Certificates of Compliance

It is your last weekend to prepare and submit your comments related to these proposed rules as written comments must be received by  Monday, July 29, 2013.

To read more about this and for the links on where to electronically submit your comments, check out the Federal Register notice announcing this proposed rule which may be found at 78 FR 28080 or by clicking here.

Questions/comments?  Post below or email me at clark.deanna@gmail.com
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