80_FR_69360 80 FR 69144 - Safety Standard for High Chairs

80 FR 69144 - Safety Standard for High Chairs

CONSUMER PRODUCT SAFETY COMMISSION

Federal Register Volume 80, Issue 216 (November 9, 2015)

Page Range69144-69161
FR Document2015-28300

The Danny Keysar Child Product Safety Notification Act, section 104(b) of the Consumer Product Safety Improvement Act of 2008 (``CPSIA''; Pub. L. 110-314, 122 Stat. 3016), requires the United States Consumer Product Safety Commission (``Commission'' or ``CPSC'') to promulgate consumer product safety standards for durable infant or toddler products. These standards must be substantially the same as applicable voluntary standards or more stringent than the voluntary standard if the Commission determines that more stringent requirements would further reduce the risk of injury associated with a product. In response to the direction under section 104(b) of the CPSIA, the Commission is proposing a safety standard for high chairs. The proposed rule would incorporate by reference ASTM F404-15, Standard Consumer Safety Specification for High Chairs (``ASTM F404-15'') into our new regulation and impose more stringent requirements for rearward stability and warnings on labels and in instructional literature. In addition, the Commission proposes to amend our regulations to include the newly proposed high chair standard in the list of notice of requirements (``NORs'') issued by the Commission.

Federal Register, Volume 80 Issue 216 (Monday, November 9, 2015)
[Federal Register Volume 80, Number 216 (Monday, November 9, 2015)]
[Proposed Rules]
[Pages 69144-69161]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-28300]


========================================================================
Proposed Rules
                                                Federal Register
________________________________________________________________________

This section of the FEDERAL REGISTER contains notices to the public of 
the proposed issuance of rules and regulations. The purpose of these 
notices is to give interested persons an opportunity to participate in 
the rule making prior to the adoption of the final rules.

========================================================================


Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / 
Proposed Rules

[[Page 69144]]



CONSUMER PRODUCT SAFETY COMMISSION

16 CFR Parts 1112 and 1231

[Docket No. CPSC-2015-0031]


Safety Standard for High Chairs

AGENCY: Consumer Product Safety Commission.

ACTION: Notice of proposed rulemaking.

-----------------------------------------------------------------------

SUMMARY: The Danny Keysar Child Product Safety Notification Act, 
section 104(b) of the Consumer Product Safety Improvement Act of 2008 
(``CPSIA''; Pub. L. 110-314, 122 Stat. 3016), requires the United 
States Consumer Product Safety Commission (``Commission'' or ``CPSC'') 
to promulgate consumer product safety standards for durable infant or 
toddler products. These standards must be substantially the same as 
applicable voluntary standards or more stringent than the voluntary 
standard if the Commission determines that more stringent requirements 
would further reduce the risk of injury associated with a product. In 
response to the direction under section 104(b) of the CPSIA, the 
Commission is proposing a safety standard for high chairs. The proposed 
rule would incorporate by reference ASTM F404-15, Standard Consumer 
Safety Specification for High Chairs (``ASTM F404-15'') into our new 
regulation and impose more stringent requirements for rearward 
stability and warnings on labels and in instructional literature. In 
addition, the Commission proposes to amend our regulations to include 
the newly proposed high chair standard in the list of notice of 
requirements (``NORs'') issued by the Commission.

DATES: Submit comments by January 25, 2016.

ADDRESSES: Comments related to the Paperwork Reduction Act aspects of 
the labeling and instructional literature requirements of the proposed 
mandatory standard for high chairs should be directed to the Office of 
Information and Regulatory Affairs, the Office of Management and 
Budget, Attn: CPSC Desk Officer, FAX: 202-395-6974, or emailed to 
[email protected].
    Other comments, identified by Docket No. CPSC-2015-0031, may be 
submitted electronically or in writing:
    Electronic Submissions: Submit electronic comments to the Federal 
eRulemaking Portal at: http://www.regulations.gov. Follow the 
instructions for submitting comments. The Commission does not accept 
comments submitted by electronic mail (email), except through 
www.regulations.gov. The Commission encourages you to submit electronic 
comments by using the Federal eRulemaking Portal, as described above.
    Written Submissions: Submit written comments by mail/hand delivery/
courier to: Office of the Secretary, Consumer Product Safety 
Commission, Room 820, 4330 East West Highway, Bethesda, MD 20814; 
telephone (301) 504-7923.
    Instructions: All submissions received must include the agency name 
and docket number for this proposed rulemaking. All comments received 
may be posted without change, including any personal identifiers, 
contact information, or other personal information provided, to: http://www.regulations.gov. Do not submit confidential business information, 
trade secret information, or other sensitive or protected information 
that you do not want to be available to the public. If furnished at 
all, such information should be submitted by mail/hand delivery/
courier.
    Docket: For access to the docket to read background documents or 
comments received, go to: http://www.regulations.gov, and insert the 
docket number, CPSC-2015-0031, into the ``Search'' box, and follow the 
prompts.

FOR FURTHER INFORMATION CONTACT: Stefanie C. Marques, Project Manager, 
Directorate for Health Sciences, U.S. Consumer Product Safety 
Commission, 5 Research Place, Rockville, MD 20850; telephone: 301-987-
2581; email: [email protected].

SUPPLEMENTARY INFORMATION:

I. Background and Statutory Authority

    The CPSIA was enacted on August 14, 2008. Section 104(b) of the 
CPSIA, part of the Danny Keysar Child Product Safety Notification Act, 
requires the Commission to: (1) examine and assess the effectiveness of 
voluntary consumer product safety standards for durable infant or 
toddler products, in consultation with representatives of consumer 
groups, juvenile product manufacturers, and independent child product 
engineers and experts; and (2) promulgate consumer product safety 
standards for durable infant or toddler products. Any standard the 
Commission adopts under this directive must be substantially the same 
as the applicable voluntary standard or more stringent than the 
voluntary standard if the Commission determines that more stringent 
requirements would further reduce the risk of injury associated with 
the product.
    The term ``durable infant or toddler product'' is defined in 
section 104(f)(1) of the CPSIA as ``a durable product intended for use, 
or that may be reasonably expected to be used, by children under the 
age of 5 years.'' Section 104(f)(2)(C) of the CPSIA specifically 
identifies high chairs as a durable infant or toddler product.
    Pursuant to section 104(b)(1)(A) of the CPSIA, the Commission 
consulted with representatives of manufacturers, consumer groups, 
consultants, retailers, industry trade groups, and government agencies 
in reviewing and assessing the effectiveness of the existing voluntary 
standard for high chairs, ASTM F404-15, largely through ASTM 
International's (``ASTM''; formerly the American Society for Testing 
and Materials) standard-development process. The standard the 
Commission is proposing in this notice of proposed rulemaking (``NPR'') 
is based on ASTM F404-15 with more stringent requirements for rearward 
stability and warnings in labels and instructional literature.
    The testing and certification requirements of section 14(a) of the 
Consumer Product Safety Act (``CPSA''; 15 U.S.C. 2051-2089) apply to 
the standards promulgated under section 104 of the CPSIA. Section 
14(a)(3) of the CPSA requires the Commission to publish an NOR for the 
accreditation of third party conformity assessment bodies (i.e., test 
laboratories) to assess whether a children's product conforms to 
applicable children's product safety rules. If adopted, the proposed 
rule for

[[Page 69145]]

high chairs would be a children's product safety rule that requires the 
issuance of an NOR. For this reason, this NPR also proposes to amend 16 
CFR part 1112 to include proposed 16 CFR part 1231, the section in 
which the high chair standard would be codified.

II. The Product

A. Definition

    ASTM F404-15 defines a ``high chair'' as ``a free standing chair 
for a child up to 3 years of age which has a seating surface more than 
15 in. above the floor and elevates the child normally for the purposes 
of feeding or eating.'' The ASTM standard further specifies that a high 
chair may be sold with or without a tray, have adjustable heights, and 
recline for infants.
    There are various designs and construction materials for high 
chairs. Typical high chairs consist of a plastic, wood, or metal frame, 
often with a padded fabric seat. Some models fold for storage and 
transport or convert for continued use as a child grows. Some high 
chairs include a removable snack tray or mounted toy accessories and 
some have no trays. High chairs may have a passive crotch restraint 
(i.e., two separate bounded openings for the occupant's legs), a rigid 
front torso support, a three-point restraint system, or a five-point 
restraint system with shoulder harnesses. High chair designs include 
restaurant-style chairs, four-legged A-frame styles, single-leg 
pedestals, and Z-frame styles. Restaurant-style high chairs are 
discussed further in section VII. of this preamble.

B. Market Description

    In 2013, the CPSC conducted a Durable Nursery Product Exposure 
Survey (``DNPES'') of U.S. households with children under the age of 6. 
Data from DNPES indicate that there are approximately 9.74 million high 
chairs in U.S. households with children under the age of 6 and about 
7.14 million high chairs actually in use in those households. High 
chairs range in price from $35 to $650.
    Staff identified 62 firms supplying high chairs to the U.S. market. 
Fifty-one of these are domestic, including 27 manufacturers, 19 
importers, and five wholesalers. The remaining 11 firms are foreign, 
including nine manufacturers, one importer, and one retailer. Of these 
62 firms, 48 market their high chairs to consumers. The remaining 14 
firms market their high chairs for use in commercial settings, 
primarily in restaurants, but these products generally also are 
available to consumers.

III. Incident Data

    The Commission receives data regarding product-related injuries 
from several sources. One such source is the National Electronic Injury 
Surveillance System (``NEISS''), from which CPSC can estimate the 
number of injuries associated with specific consumer products that are 
treated in U.S. hospital emergency departments (``EDs'') nationwide, 
based on a probability sample. Other sources include reports from 
consumers and others through the Consumer Product Safety Risk 
Management System (which also includes some NEISS data) and reports 
from retailers and manufacturers through CPSC's Retailer Reporting 
System (collectively referred to as Consumer Product Safety Risk 
Management System data (``CPSRMS'')).
    Through CPSRMS sources, the Commission has received 1,296 reports 
of incidents related to high chairs that occurred between January 1, 
2011 and December 31, 2014. Because several of these reports include 
more than one incident or issue, the total number of incidents is 
1,308. These reports include one fatality and 138 injuries; for the 
remaining incidents, no injury occurred, or no injury was reported. 
Table 1 provides the number of incidents, injuries, and fatalities by 
year for 2011 to 2014.

      Table 1--CPSRMS Incident Reports Involving High Chairs Between January 1, 2011 and December 31, 2014
----------------------------------------------------------------------------------------------------------------
                          Incident year                                Total         Injuries       Fatalities
----------------------------------------------------------------------------------------------------------------
2011............................................................             276              44               0
2012 *..........................................................             360              51               0
2013 *..........................................................             491              28               0
2014 *..........................................................             169              15               1
                                                                 -----------------------------------------------
    Total.......................................................           1,296             138               1
----------------------------------------------------------------------------------------------------------------
Source: CPSC's Consumer Product Safety Risk Management System
* data collection is ongoing

    Of the 1,296 reports CPSC received from CPSRMS sources, 923 
provided the age of the child involved. For incidents in which age was 
reported, the majority involved children between 7 and 18 months old.
    EDs participating in NEISS reported 1,078 injuries and no deaths 
related to high chairs between January 1, 2011 and December 31, 2014. 
Extrapolating from this probability sample, there were approximately 
31,300 injuries and no fatalities related to high chairs treated in EDs 
between January 1, 2011 and December 31, 2014. Approximately 75 percent 
of injuries reported through NEISS involved children between 7 and 23 
months old.

A. Fatalities

    The Commission received a report in 2014 of one fatality associated 
with a high chair. Apart from indicating that the high chair involved 
had broken, the report provided little information about the decedent 
or the circumstances of the incident. The Commission has been unable to 
obtain additional information regarding this incident.

B. Nonfatal Injuries

    Of the 138 CPSRMS injuries related to high chairs that occurred 
between 2011 and 2014, three resulted in moderate injuries treated in 
EDs. These injuries included a puncture wound to the forehead, a broken 
collarbone, and a lacerated finger. There were no severe injuries, and 
the remaining injuries primarily resulted in contusions, abrasions, and 
lacerations. Many of the incident descriptions in the remaining 1,157 
reports that did not state that an injury had occurred, nevertheless, 
indicated the potential for injury.
    For injuries reported through NEISS, 94 percent were treated and 
released. The most commonly injured body parts were the head (65 
percent) and face (17 percent). The most common types of injuries were 
injuries to internal organs (48 percent), contusions and abrasions (22 
percent), and lacerations (11 percent). In 1,540 of the estimated 
31,300 injuries treated in U.S. EDs,

[[Page 69146]]

severe head injuries, such as fractured skulls and concussions, 
occurred.

C. Hazard Pattern Identification

    CPSC staff reviewed NEISS and CPSRMS data to identify hazard 
patterns associated with high chairs. Because CPSRMS data sources 
generally provide greater detail about incidents, staff was able to 
identify more distinct hazard patterns using this data than NEISS data. 
CPSC staff identified several hazard patterns associated with high 
chairs in reviewing the 1,308 CPSRMS incidents. Approximately 96 
percent of the 1,308 incidents involved issues with specific components 
of the high chair, including the frame, seat, restraint system, 
armrest, tray, toy accessories, wheels, footrest, and other features. 
Approximately 4 percent involved general problems with the high chair, 
including the design and stability, and less than 1 percent fell into 
other categories, including consumer observations and incidents in 
which reports provided insufficient information to identify a hazard 
pattern (i.e., undetermined). Staff was unable to identify the hazard 
pattern for the one fatality because there was insufficient information 
in the report. Table 2 provides the frequency of each hazard pattern 
and category.

  Table 2--Hazard Patterns for CPSRMS Incidents Involving High Chairs Between January 1, 2011 and December 31,
                                                      2014
----------------------------------------------------------------------------------------------------------------
                                                                       Total
                         Hazard pattern                              incidents       Injuries       Fatalities
----------------------------------------------------------------------------------------------------------------
Frame...........................................................             650              20               0
Seat............................................................             205              41               0
Restraint System................................................             139              12               0
Armrest.........................................................              81               2               0
Tray............................................................              75              33               0
Toy Accessories.................................................              70               1               0
Wheels..........................................................              21               1               0
Footrest........................................................              14               0               0
Miscellaneous Issues............................................               8               1               0
Design..........................................................              22              13               0
Stability.......................................................              16              12               0
Consumer Observations...........................................               3               0               0
Undetermined....................................................               4               2               1
                                                                 -----------------------------------------------
    Total.......................................................           1,308             138               1
----------------------------------------------------------------------------------------------------------------

    Issues with frames account for the greatest number of incidents. 
Examples of these incidents include broken frames, legs, seat supports, 
and loose screws. Issues with seats are associated with the greatest 
number of injuries. Examples of these incidents include torn, cracked, 
or peeling seat pads and seat-reclining issues. Examples of restraint 
system incidents include broken buckles and prongs, jamming, easy 
release, torn or fraying straps, pinching, and ineffective restraints. 
Examples of issues with armrests include cracking or breaking. Examples 
of tray incidents include trays failing to lock or remain locked, trays 
releasing too easily, difficulty releasing trays, and pinching. 
Examples of toy accessory incidents include cracked or broken toy 
accessories. Examples of incidents involving wheels include broken or 
loose wheels or wheels not locking. Examples of footrest incidents 
include cracked or broken footrests. Examples of other miscellaneous 
issues include unclear assembly instructions, excessive lead content in 
paint, finish coming off, poor construction quality, and loose 
hardware.
    General issues with the design and stability of high chairs also 
contributed to incidents and injuries. Examples of incidents related to 
design issues include children's limbs, fingers, and toes becoming 
entrapped in spaces or openings. In two separate incidents, children 
were entrapped by the neck in the seatback opening and leg opening of 
high chairs. Examples of incidents involving stability issues include a 
high chair actually or nearly tipping over.
    CPSC identified two additional categories that do not represent 
particular hazard patterns. First, several incident reports included 
consumer observations that did not indicate an incident with a high 
chair had occurred. Examples of these include perceived safety hazards 
and unauthorized sales of recalled high chairs. Second, several 
reports, including a fatality report, provided insufficient information 
for CPSC to determine the circumstances or cause of the incident.
    One issue that relates to several of these hazard patterns is 
prevalent in both NEISS and CPSRMS incidents--namely, falls from high 
chairs. Many of the incidents reported through NEISS and CPSRMS sources 
involved children falling from high chairs. Within NEISS data, 78 
percent of incidents involved falls but did not specify the cause, and 
an additional 18 percent involved mainly falls that occurred when a 
component of a high chair failed, a high chair tipped over, or a child 
climbed in or out of a high chair. Many of the CPSRMS incidents also 
involved falls from a high chair. Fall incidents are particularly 
evident in the stability, restraint system, tray, and frame hazard 
patterns. Falls often occurred when these features fail or the 
restraint system is not used properly. Fall incidents have the 
potential to result in serious injuries, including severe head 
injuries, which can cause brain damage and impact a child's development 
and cognitive skills. Of the 1,308 CPSRMS incidents, 79 fall incidents 
showed the potential for serious injuries, and in many of these 
incidents, the child sustained a head injury. Of the 31,300 estimated 
NEISS incidents, 1,540 resulted in severe head injuries.

D. Product Recalls

    Since January 1, 2010, there have been 10 recalls of high chairs 
involving eight firms. The recalled high chairs were responsible for a 
total of 72 injuries, including 44 injuries involving bumps and 
bruises, 11 lacerations requiring medical closure (stitches, tape, or 
glue), one scratched cornea, and one hairline fracture to the arm. 
These injuries were primarily due to falls from the high chair.

IV. International Standards for High Chairs

    CPSC is aware of four international standards that apply to high 
chairs:

[[Page 69147]]

     ASTM F404-15;
     EN 14988: 2006, Children's High Chairs--Safety 
Requirements and Test Methods (``European standard'');
     AS 4684-2009, High Chairs--Safety Requirements 
(``Australian standard''); and
     ISO 9221: 1992, Furniture--Children's High Chairs (``ISO 
standard'').
    CPSC staff reviewed the provisions in these four standards and 
believes that ASTM F404-15 best addresses the hazard patterns indicated 
in the incident data CPSC has received. In most areas, ASTM F404-15 
includes more stringent requirements than the other three international 
standards. For example, to test forward stability, the European 
standard requires testing with an 11-pound load and 5.6 foot-pound 
force, while ASTM F404-15 requires testing with a 40-pound load and 14 
foot-pound force, making it the more stringent standard.
    In reviewing the provisions in which one of the other international 
standards includes more stringent requirements than ASTM F404-15, CPSC 
found that incident data do not indicate that the more stringent 
standard is necessary to reduce the risk of injury, and the 
requirements in ASTM F404-15 are sufficient. For example, the European 
standard has height requirements for the sides of high chairs, while 
ASTM F404-15 does not. However, incident data do not indicate that side 
height is a factor in fall hazard patterns. Similarly, the Australian 
standard requires castors or gliders to be in specific configurations, 
and the ISO standard only allows castors for convertible high chairs, 
while ASTM F404-15 has no requirements for castors. However, incident 
data do not indicate that castors are a common cause of injury.
    Based on these comparisons, CPSC believes that ASTM F404-15 is, in 
general, a more stringent standard than the other three international 
standards and is better tailored to address the hazard patterns shown 
in the incident data.

V. ASTM F404-15

A. History of ASTM F404-15

    ASTM first approved and published a standard for high chairs in 
1975, as ASTM F404-75, Standard Consumer Safety Specification for High 
Chairs. ASTM has revised the voluntary standard many times since then, 
adding and modifying requirements. Some of the more substantial 
additions over the past 5 years include requirements for tray-release 
mechanisms, visibility and permanency of labels, restraint system 
installation, and restraint anchor integrity. ASTM approved the current 
version, ASTM F404-15, on May 15, 2015.

B. Description of ASTM F404-15

    CPSC staff, together with stakeholders on the ASTM subcommittee 
task group for high chairs, developed modified and new requirements for 
ASTM F404-15 to address the hazards associated with high chairs. ASTM 
F404-15 includes the following key provisions: scope, terminology, 
calibration and standardization, general requirements, performance 
requirements, test methods, labeling and warnings, and instructional 
literature. The following provides an overview of these provisions; to 
view the complete standard, see the instructions in section X. of this 
preamble.
1. Scope
    This section states the scope and intent of the standard.
2. Terminology
    This section provides definitions of terms specific to the 
standard.
3. Calibration and Standardization
    This section provides general instructions for conducting tests.
4. General Requirements
    This section includes general requirements regarding various 
issues, such as components of a high chair, conversion kits, 
accessories, threaded fasteners, sharp edges and points, small parts, 
wood parts, latching or locking mechanisms, labels, openings, toy 
components, and lead in paint.
5. Performance Requirements and Test Methods
    These sections contain performance requirements and associated test 
methods for high chairs. The following summarizes key requirements in 
these sections.
    a. Protective Components: These requirements provide for testing 
protective components such as caps and plugs.
    b. Tray or Front Torso Support--Drop Test: Each removable tray and 
front torso support must be dropped from a specified height in multiple 
orientations. The purpose of this requirement is to test whether high 
chair components continue to function or exhibit mechanical hazards 
(e.g., sharp edges) after the drop test.
    c. Tray or Front Torso Support--Pull Tests: The tray or front torso 
support must be pulled multiple times from multiple sides and 
directions with a specified force. The purpose of this requirement is 
to test whether frontal support can withstand kicking or pulling.
    d. Static Load: A high chair must support specified weights on the 
seat, tray, step, and footrest. The purpose of this requirement is to 
test whether the high chair seat and step can support more than the 
weight of a child and whether the tray can withstand overloading.
    e. Stability: A high chair must not tip over when pulled forward, 
backward, or sideways by a specified force. The purpose of this 
requirement is to test the high chair's resistance to falling over if 
an occupant leans forward, pushes off a nearby surface, or the high 
chair is otherwise pushed.
    f. Exposed Coil Springs: Any exposed coil springs that reach a 
specified distance from each other during static load testing must be 
designed to prevent pinching or entrapment.
    g. Scissoring, Shearing, and Pinching: Each accessible point at 
which components move (e.g., fastening points, pivots) must admit a 
probe with a specified diameter. The purpose of this requirement is to 
prevent scissoring, shearing, and pinching of an occupant.
    h. Restraint System: The standard requires an active restraint 
system, such as a belt, to secure a child in the high chair. The 
restraint system must include waist and crotch restraints. In addition, 
the restraints must withstand upward and downward force tests as well 
as testing to pull on restraint system attachments. The purpose of 
these requirements is to ensure that the restraint system and its 
closing means remain anchored and functional under various forces.
    i. Completely-Bounded Openings: This section requires high chairs 
with completely-bounded openings in front of the occupant to have a 
passive crotch restraint with specified maximum sizes for gaps and 
openings. The crotch restraint must be installed or tethered in place 
to prevent consumers from mis-installing or not installing it and 
tethers must withstand specified forces. The purpose of these 
provisions is to reduce the likelihood of injury or death from an 
occupant sliding through and being entrapped in an opening.
    j. Structural Integrity: A high chair must withstand dynamic cycle 
testing, involving repeated drops of a weight on the seat, without any 
structural components breaking or the seat height or angle changing 
beyond a set limit. The purpose of this requirement is to test whether 
the high chair can

[[Page 69148]]

withstand the dynamic loads to which it will be subjected.
    k. Tray Latch Release Mechanisms: The standard includes 
requirements for tray latches to prevent unintentional or accidental 
release. These requirements include specific types and placements for 
latch release mechanisms and testing to ensure they can withstand a 
specified force. The purpose of these requirements is to address 
incidents in which occupants fell from high chairs that had passive 
restraints integrated into the tray.
    l. Side Containment: Any completely-bounded openings on the sides 
of the seat must meet specified maximum dimensions for gaps and 
openings. The purpose of this requirement is to reduce the likelihood 
of injury or death from an occupant sliding through and being entrapped 
in an opening.
    m. Protrusions: Projections must meet certain dimensional 
requirements if they are located on the outside of high chair legs at a 
height a toddler is susceptible to falling into. The purpose of this 
requirement is to address the incidents in which children outside of 
high chairs sustained injuries from falling into tray storage hooks or 
other protrusions.
    n. Locking Mechanisms: Locking mechanisms must be able to withstand 
a specified force.
    o. Permanency of Labels and Warnings: This section specifies 
testing and criteria for determining the permanency of labels.
6. Labeling and Warnings
    This section contains various requirements related to warnings and 
labels, including content, format, and prominence requirements.
7. Instructional Literature
    This section requires that instructions be provided with high 
chairs and be easy to read and understand. The instructions must comply 
with content, format, and prominence requirements.

VI. Assessment of ASTM F404-15

    CPSC considered the fatalities, injuries, and non-injury incidents 
associated with high chairs that occurred between January 1, 2011 and 
December 31, 2014, and staff evaluated ASTM F404-15 to determine 
whether the voluntary standard addresses these hazards or whether more 
stringent standards would reduce the risk of injury associated with 
high chairs. CPSC believes that ASTM F404-15 effectively addresses the 
hazards indicated in the incident data, with the exception of two 
areas. CPSC believes that more stringent requirements than those in 
ASTM F404-15 would further reduce the risk of injury associated with 
high chairs regarding rearward stability and warnings on labels and in 
instructional literature. Consequently, CPSC proposes additional 
requirements for those areas.
    This section provides CPSC's assessments of how ASTM F404-15 
addresses the hazard patterns in the incident data. In its analysis, 
CPSC identified broad categories into which the incidents fall. One 
category is components of high chairs, including issues with frames, 
seats, restraint systems, armrests, trays, toy accessories, wheels, 
footrests, and miscellaneous issues. Another category is general 
problems with high chairs, including design and stability issues. And 
the final category includes incidents that did not clearly fall within 
any of the above groupings--these are listed below as consumer 
observations and undetermined. This section discusses each of these 
hazard patterns, in descending order of frequency of incidents within 
each of the three categories (see Table 2, above). Section VIII. 
discusses the additional requirements that CPSC proposes for rearward 
stability and warnings.

A. Frame

    There were 650 CPSRMS incidents involving the frame of a high 
chair, resulting in a total of 20 injuries. Common incidents included 
cracked frames or height adjustors, loose screws, and buckling legs. 
More than 80 percent of frame-related incidents involved cracked 
components on two similar high chair models from one manufacturer and 
resulted in only a few minor injuries.
    ASTM F404-15 contains two separate requirements intended to provide 
structural integrity to high chair frames--a static load test and a 
drop test. Several general requirements also address the hazards 
associated with frame failures, such as the requirements regarding the 
use of certain screws for key structural elements to provide for proper 
installation and durability over time. Since frame-related incidents 
are not an industry-wide problem, CPSC believes that the ASTM F404-15 
requirements for structural integrity, load tests, and fasteners 
effectively address the safety hazards related to high chair frames.

B. Seat

    There were a total of 205 incidents involving the seat of a high 
chair, resulting in 41 injuries. Seat-related issues include cracked or 
peeling seat pads, broken seat reclining hardware, seat backs 
detaching, and loose screws. Nearly 60 percent of seat issues involved 
a single manufacturer's seat pads cracking or peeling after multiple 
washings. Eighty-three percent of seat-related injuries involved 
cracked or peeling seat pads scratching occupants' legs.
    ASTM F404-15 contains two requirements that address the integrity 
of structural components of a high chair, including the seat. These are 
the static load test and drop test. General requirements, such as those 
regarding sharp points and small parts, also address the risk of 
laceration or choking on pieces that detach from the seat. CPSC 
believes that ASTM F404-15 effectively addresses the hazards associated 
with high chair seats.

C. Restraint System

    There were 139 incidents involving the restraint system of a high 
chair, resulting in 12 injuries. These issues generally fall into two 
categories--restraint systems that failed and unused restraint systems.
    Within the first category, incidents included buckles breaking or 
separating from straps, straps tearing or pulling out of anchor points, 
and other issues. To address these issues, ASTM F404-15 requires all 
high chairs to be shipped with two types of restraint systems--a pre-
attached ``active'' crotch and waist belt restraint system and a 
``passive'' crotch restraint--that have undergone testing to ensure 
they work as intended. ASTM F404-15 also requires the restraint anchors 
to withstand a pull test. CPSC believes that ASTM F404-15 effectively 
addresses the hazard pattern associated with restraint system failures.
    As for the second category, unused restraint systems, CPSC believes 
that a more stringent standard for labels and instructional literature 
than ASTM F404-15 would further reduce the risk of injuries associated 
with this issue. CPSRMS and NEISS data indicate that, in many 
incidents, caregivers did not use the restraint system. CPSC believes 
more effective warnings would increase consumer use of restraint 
systems and reduce these incidents.
    CPSC's review of CPSRMS data revealed that of the 1,308 incidents 
involving high chairs, there were numerous cases in which the caregiver 
did not use the high chair restraints, resulting in the child falling 
or nearly falling from the high chair. Although many incident reports 
have limited detail, CPSC noted that several incidents involved a child 
falling from a high chair when the tray disengaged, suggesting the tray 
was used as the sole restraint. Several reports also indicated that a 
caregiver's attention was

[[Page 69149]]

elsewhere when the incident occurred. And several other reports 
suggested that the restraint system was ineffective at restraining the 
child or was used improperly.
    CPSC's review of NEISS data revealed a similar pattern. The vast 
majority of NEISS incidents involved falls, which suggests that 
restraints were unused or ineffective. Although NEISS data provide 
limited details, many reports state that the child was not restrained 
or that the restraint had just been removed when the incident occurred. 
In some cases, the incident happened when a caregiver turned away from 
the child, and some reports stated the child was strapped in before the 
fall, suggesting the restraint fit poorly or was not adjusted properly.
    CPSC believes that the requirements in ASTM F404-15 do not 
adequately address the risk of injury associated with unused or 
improperly used restraint systems. ASTM F404-15 includes three types of 
requirements relevant to this hazard. First, the standard requires the 
passive crotch restraint to arrive attached or tethered to its 
manufacturer's recommended use position to reduce the chances that the 
restraint is not installed before use. Second, section 8 of ASTM F404-
15 requires warnings about the risk of serious injury or death from 
falling or sliding out of a high chair, instructions to use the 
restraint system, and a warning never to leave a child unattended. Some 
of these warnings must be visible to a person standing near the high 
chair at any one position when a child is in the high chair, but not 
necessarily visible from all positions. Other warnings must be visible 
to a caregiver while placing a child in the high chair, but not 
necessarily visible when the child is in the high chair. Third, section 
9 of ASTM F404-15 specifies that instructional literature provided with 
a high chair must include the same warning statements that are on the 
high chair; state that only children capable of sitting upright 
unassisted should use a high chair; advise consumers to use the 
restraint system; and inform consumers that the tray is not a restraint 
system.
    CPSC believes that more stringent content, form, and placement 
requirements for warnings than ASTM F404-15's would further reduce the 
risk of injury associated with unused restraint systems. Section VIII. 
discusses CPSC's proposed labeling and instructional literature 
requirements in greater detail.

D. Armrest

    Eighty-one high chair incidents involved armrests and resulted in 
two injuries. Many of the reports indicate armrests broke as users 
removed the tray. All but one of the armrest incidents involved a 
single high chair model.
    ASTM F404-15 includes several performance tests that address this 
hazard. For example, the static load and pull tests for trays also 
evaluate the durability of armrests because trays are typically 
attached to armrests. CPSC believes that ASTM F404-15 effectively 
addresses the armrest hazard pattern. The incident reports indicate 
this is not an industry-wide problem; there were only a small number of 
minor injuries associated with armrests, and ASTM F404-15 includes 
tests for armrest durability.

E. Tray

    A total of 75 high chair incidents involved trays and resulted in 
33 injuries. Common tray incidents included pinching, and in addition, 
falls that occurred when trays unexpectedly detached or released too 
easily.
    ASTM F404-15 contains several performance requirements that address 
tray incidents, including pull tests, a static load test, and specific 
tray-latching requirements. Provisions on tray latch accessibility and 
latch actuation that ASTM adopted in 2007 and 2010 have been effective 
at reducing tray-related incidents, as data show a decline in incidents 
for models manufactured after those revisions. General requirements, 
such as those for sharp edges and scissoring, shearing, and pinching, 
also address these hazards. CPSC believes that ASTM F404-15 effectively 
addresses the tray hazard pattern.

F. Toy Accessories

    Toy accessories were involved in 70 high chair incidents, resulting 
in one injury. These reports indicate toy accessories cracked or broke.
    ASTM F404-15 includes requirements for toy accessory durability, 
requiring manufacturers to attach toy accessories to the high chair for 
testing, including tray drop testing and load cycle testing. CPSC 
believes ASTM F404-15 effectively addresses the toy accessory hazard 
pattern. CPSC expects the toy durability requirements in ASTM F404-15, 
as well as the general requirement in ASTM F404-15 calling for 
compliance with ASTM's toy standard, ASTM F963, Standard Consumer 
Safety Specification for Toy Safety, to reduce hazards related to 
cracked or broken toy accessories.

G. Wheels

    Wheels were involved in 21 high chair incidents, resulting in one 
injury. Common incidents involved wheels becoming loose, breaking, or 
not locking. All but two of these incident reports cited cracked or 
broken components of high chairs from one manufacturer and almost all 
of these were the same model. In the single incident that resulted in 
an injury, the wheel was only a minor contributing factor.
    ASTM F404-15 evaluates wheel durability through a static load test 
and drop test. CPSC believes that ASTM F404-15 effectively addresses 
this hazard pattern, as wheel issues do not appear to be an industry-
wide hazard pattern, do not contribute to a substantial number of 
injuries, and ASTM F404-15 contains provisions that evaluate wheel 
integrity.

H. Footrests

    Fourteen high chair incidents involved footrests and resulted in no 
injuries. All of the incident reports cited footrests cracking on a 
single high chair model.
    ASTM F404-15 includes a static load test to evaluate the durability 
of footrests. CPSC believes that ASTM F404-15 effectively addresses 
this hazard pattern, as this is not an industry-wide issue, and ASTM 
F404-15 includes requirements for footrest durability.

I. Miscellaneous Issues

    High chair incident reports included various additional issues, 
such as paint with excessive lead content, cracked wood finish, loose 
screws, and assembly problems. Eight high chair incident reports cited 
these miscellaneous issues and resulted in one injury.
    ASTM F404-15 contains several requirements that address these 
various issues, such as issues with screws on consumer-assembled 
structural components, sharp edges, small parts, exposed wood, and 
compliance with 16 CFR part 1303 (banning lead-containing paint). ASTM 
F404-15 also includes requirements for instructional literature, 
intended to provide clear assembly instructions. CPSC believes that 
ASTM F404-15 effectively addresses these issues.

J. Design

    Design issues were involved in 22 high chair incidents, resulting 
in 13 injuries. Incident reports relating to the design of a high chair 
primarily cited designs that create entrapment hazards. These hazards 
commonly resulted in children's arms being entrapped

[[Page 69150]]

between the back of a high chair and the tray or children's legs 
catching in the gap between the bottom of the tray and the top of the 
passive crotch restraint. In the most severe cases, children slid into 
leg hole openings under the tray and hung by their necks.
    To address these ``submarining'' cases, ASTM F404-15 contains 
several performance tests that specifically address openings, including 
a probe test for gaps and completely-bounded openings in front of 
occupants, around the passive crotch restraint, and between horizontal 
portions and the tray. The standard also includes a test for leg 
openings and openings around the sides of the high chair seat to ensure 
that occupants cannot slide through and become entrapped. ASTM F404-15 
requires manufacturers to attach passive crotch restraints to the high 
chair to increase the likelihood that consumers will use restraints and 
reduce submarining incidents. ASTM F404-15's requirements on openings 
and scissoring, shearing, and pinching address less serious entrapment 
hazards. CPSC believes that ASTM F404-15 effectively addresses the 
design hazard pattern.

K. Stability

    Stability issues played a role in 16 high chair incidents, 
resulting in 12 injuries. This hazard pattern includes forward tip-
overs, side tip-overs, and rearward tip-overs. Tip-overs generally 
occur when a child leans out of the high chair or pushes off a nearby 
surface. In NEISS reports that included enough detail to identify the 
cause of the incident, the vast majority of the incidents were falls 
resulting from tip-overs, mostly rearward tip-overs. CPSRMS data also 
included reports of many injuries resulting from high chairs tipping 
over, also frequently rearward tip-overs.
    ASTM F404-15 requires forward, sideways, and rearward tip-over 
testing. The standard also contains a stability requirement to simulate 
the load applied by a child climbing into the chair. CPSC believes that 
ASTM F404-15 effectively addresses forward and sideways tip-overs. 
However, based on the frequency of rearward tip-over incidents, CPSC 
believes that ASTM F404-15 does not adequately address rearward tip-
over hazards and a more stringent standard is necessary. Section VIII. 
discusses CPSC's proposed rearward stability standard.

L. Consumer Observations

    Three incident reports involved consumers' perceived safety hazards 
or complaints about high chairs, but none of the incidents resulted in 
injuries. These reports did not provide enough information for CPSC to 
assess the adequacy of ASTM F404-15 regarding the reported concerns.

M. Undetermined

    Four high chair incident reports did not provide sufficient 
information for CPSC to determine how the incidents, including the one 
reported death and two injuries, occurred. The lack of information 
available in these incident reports made it impossible for CPSC to 
assess the effectiveness of ASTM F404-15 in addressing these issues.

VII. Restaurant-Style High Chairs

    ASTM F404-15 applies to high chairs without distinguishing where 
consumers use them. However, many high chairs are designed to be used 
in commercial settings, primarily restaurants (``restaurant-style high 
chairs''). These high chairs generally include features that are 
particularly useful in commercial or restaurant settings and may not 
present the same hazards as high chairs used in the home. Based on 
CPSC's review of incident data and the potential economic impact of the 
requirements proposed in this NPR, it is possible that, due to the 
unique environmental factors in restaurant settings, high chairs used 
in these settings may present lesser hazards and warrant fewer 
requirements to reduce the risk of injury associated with high chairs. 
The following describes the factors that weigh in favor of and against 
distinguishing restaurant-style high chairs from other high chairs and 
possible options for distinguishing them.
    Of the 1,296 CPSRMS incident reports, three explicitly state that 
the incidents occurred in restaurants while consumers used the 
establishments' high chairs. Restaurant-style high chairs have several 
distinct features. This style of chair is generally constructed from 
robust materials, such as wood or plastic and do not have trays. 
Therefore, restaurant-style high chairs can be pulled up to a table. In 
addition, restaurant-style high chairs are designed to be compact and 
stackable for easy storage and have little space available for labels. 
Restaurant-style high chairs are also generally designed to be lower to 
the ground and narrower than high chairs intended for home use. 
Additionally, restaurant-style high chairs are designed not only to 
accommodate a wide range of ages, from infants to toddlers, but also 
accommodate bulky outerwear and shoes. These design attributes are 
desirable in a restaurant setting to adapt to the environment and be 
versatile and compact. However, these features also make it difficult 
for these high chairs to comply with the requirements in ASTM F404-15 
and the additional requirements proposed in this NPR.
    There are several requirements that restaurant-style high chairs 
frequently do not follow. Contrary to ASTM F404-15, wedge blocks can 
generally pass through the leg openings of restaurant-style high 
chairs. The large side and back openings also do not meet ASTM F404-15. 
The belt used as a passive restraint often fits loosely over the top 
rail of the high chair and does not meet the passive restraint 
requirements of ASTM F404-15. The lower and narrower stance of these 
high chairs also may impact the chairs' compliance with the stability 
requirements in ASTM F404-15. Moreover, there is little space on these 
high chairs to accommodate the label requirements in ASTM F404-15 or 
the additional requirements CPSC proposes.
    There are several reasons it may be appropriate to apply different 
requirements to restaurant-style high chairs. First, the environment in 
which restaurant-style high chairs are used may not present the same 
hazards that are common in the home. In a restaurant environment, 
caregivers sit next to the child seated in the high chair, are unlikely 
to leave a child unattended in the high chair, and are not distracted 
by the tasks that may divert the caregiver's attention in a home 
environment. For these reasons, a caregiver would likely be able to 
prevent an incident from occurring, or correct any issue quickly, 
before serious injury or death could occur. None of the three incidents 
involving restaurant-style high chairs reported to CPSC involved 
children who were unattended and entrapped in the openings of the high 
chair. Because caregivers are likely to be nearby and attentive, it is 
likely to be less necessary for warnings regarding attending the child 
to be visible when the child is in the high chair. Second, modifying 
restaurant-style high chairs to comply with ASTM F404-15 would likely 
reduce their utility because these high chairs would no longer 
accommodate larger children or bulky clothes, and would be less compact 
and not stackable. Finally, given the possible lesser safety issues, 
the proposed requirements in this NPR impose proportionately high costs 
on restaurant-style high chair suppliers because these products require 
more changes to come into compliance.
    There are also several reasons to apply the same requirements to 
restaurant-style high chairs and other

[[Page 69151]]

high chairs. First, restaurant-style high chairs are readily available 
to consumers and are also used in homes. Two of the firms that market 
their products to consumers produce high chairs identical to the wooden 
high chairs used in restaurants. This negates the environmental factors 
that support distinguishing high chairs used in restaurants. Second, 
there is minimal incident data to indicate whether high chairs actually 
pose lesser safety risks in restaurant settings. It is also possible 
that, although caregivers in restaurants are near the child, caregivers 
may be less likely to attend to the child or use the restraint system 
because caregivers assume they are near enough to the child to prevent 
an incident. As the incident data indicate, this may not be correct, as 
incidents can happen quickly. Finally, because high chairs are readily 
available to consumers, it may be difficult, practically, to apply 
different requirements to these high chairs.
    Some options for treating restaurant style-high chairs differently 
than other high chairs include excluding restaurant-style high chairs 
from the proposed standard or modifying individual requirements, such 
as label placement and bounded-openings, to reflect the features and 
lesser safety issues associated with restaurant-style high chairs.
    CPSC requests comments on the following factors: whether it is 
appropriate to distinguish these high chairs, which requirements should 
differ, and how CPSC could apply those distinctions.

VIII. Description of Proposed Changes to ASTM Standard

    The proposed rule would create part 1231, titled, Safety Standard 
for High Chairs. As explained above, the Commission believes that ASTM 
F404-15 effectively addresses the safety hazards associated with high 
chairs, with the exception of rearward stability and warnings in labels 
and instructional literature. For this reason, the Commission proposes 
to incorporate by reference ASTM F404-15, with modified requirements 
for rearward stability and warnings. This section discusses the 
proposed changes to ASTM F404-15.

A. Rearward Stability

    Based on the incident data discussed above, CPSC believes that a 
more stringent standard than ASTM F404-15 for rearward stability would 
further reduce the risk of injury. CPSC staff has tested the high chair 
models involved in incidents and found that the tested models passed 
the requirements of ASTM F404-15. To develop a performance test to 
measure and improve the rearward stability of high chairs, CPSC worked 
with an ASTM task group to develop an alternative rearward stability 
test, based on CPSC staff's and manufacturers' testing. Although this 
test is not included in ASTM F404-15, ASTM may adopt the test in future 
revisions. CPSC proposes to adopt this test, in lieu of the rearward 
stability test in ASTM F404-15.
    The proposed standard is based on a rearward stability index 
(``SI'') rating that evaluates the factors that contribute to rearward 
tip-overs and sets a minimum SI score for high chairs. The task group 
developed the SI based on a review of various stability requirements, 
the incident data, and testing numerous high chair models, including 
those involved in rearward tip-over incidents and those not reported to 
be involved in such incidents. The SI measures the elements associated 
with high chair occupants pushing back from a surface. The SI rates 
high chairs based on two characteristics associated with rearward tip-
overs--the force (``F'') required to tip the chair over in the rearward 
direction and the distance (``D'') that a reference point on the seat 
travels as the chair tilts from the manufacturer's recommended use 
position to the point of instability just before tipping over. A chair 
design will score well if it requires a large push-off force and/or a 
long distance to reach its tipping point. CPSC's and manufacturers' 
tests determined that the tip force is a more critical factor in 
identifying unstable chairs. As such, the SI weights F twice as heavily 
as D: SI = 2F + D.
    The test method CPSC developed through this testing and proposes in 
this NPR includes the following elements:
     Attach a force gauge to the center line of the back of the 
seat, 7.25'' above the seating surface and preload it with 3 pounds of 
force (to eliminate any slack in fabric or loose seats);
     Establish an initial reference point along the plane of 
the force gauge;
     Gradually apply a rearward, horizontal force until the 
point at which the chair becomes unstable and begins to tip over 
backward;
     Record the maximum force applied during the tip test, 
along with the total distance the reference point moved from its 
predetermined position; and
     Calculate the SI by multiplying the force by a factor of 
two and adding the distance. Based on the product testing conducted, 
CPSC proposes requiring high chairs to have an SI of 50 or more.
    CPSC also proposes to include requirements for the test surface and 
positioning of the high chair for rearward stability testing. These 
requirements are based on CPSC staff's testing initiative and aim to 
reduce variation in test results. First, CPSC proposes to require the 
high chair seat back, tray, seat, and wheels to be in specific 
positions for rearward stability testing. This will decrease 
variability in test methods and results, and based on testing, CPSC 
believes that these positions are the most effective for assessing high 
chair stability.
    Second, CPSC proposes to require a specific test surface, including 
60-grit sandpaper to prevent sliding and maximum parameters for the 
stop block placed behind a high chair with wheels to instigate tipping. 
Without these requirements, test results vary because test surfaces 
differ and the height of a stop block affects the amount of force 
necessary to tip over a high chair.
    The proposed rearward stability requirement and test procedure are 
effective at identifying high chairs that have been involved in 
rearward tip-over incidents. As such, CPSC believes this more stringent 
standard would further reduce the risk of injury associated with 
rearward high chair tip-overs, and proposes requiring this modification 
to ASTM F404-15.

B. Warnings in Labels

    Based on incident data discussed above and research on effective 
warnings, CPSC believes that the on-product warning requirements in 
ASTM F404-15 do not adequately address the safety risks associated with 
high chairs; therefore, CPSC proposes more stringent requirements that 
would further reduce the risk of injury associated with falls from high 
chairs. Specifically, CPSC proposes additional content, form, and 
placement provisions for on-product warnings labels. Tab E of CPSC 
staff's briefing package for this proposed rule includes additional 
details about these proposed requirements and the rationale behind 
them. The briefing package is available at: http://www.cpsc.gov/Newsroom/FOIA/Commission-Briefing-Packages/.
1. Content
    CPSC proposes to require high chairs to bear labels that address 
the following statements:
    Children have suffered skull fractures after falling from high 
chairs. Falls can happen quickly if child is not restrained properly.
     Always use restraints, and adjust to fit snugly. Tray is 
not designed to hold child in chair.
     Stay near and watch your child during use.

[[Page 69152]]

    CPSC believes this language would be more effective than ASTM F404-
15's language at reducing the risk of injury associated with falls from 
high chairs. CPSC developed the proposed warning language from 
information developed through research on the content of warnings. The 
proposed rule refers to ANSI Z535.4, Product Safety Signs and Labels 
(``ANSI Z535.4''), for guidance on warning label designs. ANSI Z535.4 
is the primary U.S. voluntary consensus standard for product safety 
signs and labels. The standard is available at: http://www.ansi.org/. 
ANSI Z535.4 addresses the design, application, use, and placement of 
on-product warning labels. CPSC's Division of Human Factors regularly 
uses ANSI Z535.4.
    As the staff briefing package discusses, literature and guidelines 
about warnings consistently recommend that on-product warnings include:
     A description of the hazard;
     information about the consequences of exposure to the 
hazard; and
     instructions about appropriate hazard-avoidance behaviors.
    The warning statements in ASTM F404-15 lack important details 
regarding the hazard and its consequences, providing only a vague 
description of the types of injuries that may occur. As staff's 
briefing package for this proposed rule indicates, providing more 
detailed and vivid information in a warning increases its 
effectiveness. Accordingly, CPSC developed the proposed language, 
describing the specific hazard, consequent injuries, and precise 
actions that can help reduce the likelihood of the hazard.
    As Tab E of CPSC staff's briefing package for this proposed rule 
discusses, incident data and other research reveals the following:
     Falls can happen quickly;
     falls occur when caregivers are not close by or watching a 
child;
     falls occur when caregivers do not use the restraint 
system;
     falls occur when caregivers do not use the restraint 
system properly; and
     receiving information about a hazard, its consequences, 
and mitigating actions, motivates appropriate behavior.
    As discussed in further detail in Tab E of CPSC staff's briefing 
package, CPSC does not believe that ASTM F404-15 includes adequately 
detailed requirements to address many of these factors. To increase the 
effectiveness of warnings and further reduce the risk of injury, CPSC 
proposes the following for high chair warnings:
     A statement describing the speed with which incidents can 
occur;
     a detailed description of what ``attending'' means, 
including staying near and watching a child;
     an instruction to use the restraint system and a statement 
that the tray is not part of the restraint system;
     an instruction to adjust the restraints to fit the child 
snugly; and
     a warning statement regarding the hazard, consequences, 
and appropriate actions to appear together on a label.
    Similarly to ASTM F404-15, CPSC proposes that for high chairs that 
have a seating component that is also used as a seating component for a 
stroller, the content of the labels must comply with ASTM F833, 
Standard Consumer Safety Performance Specification for Carriages and 
Strollers (``ASTM F833''). However, although ASTM F404-15 only requires 
compliance with section 8.2.2.2 of ASTM F833, CPSC also proposes to 
require the additional warning provided in section 8.2.2.1. CPSC 
incorporated the most recent revision of this standard (ASTM F833-13b) 
into 16 CFR part 1227 as the safety standard for carriages and 
strollers, with some modifications, effective September 10, 2015. 79 FR 
13,208 (Mar. 10, 2014).
2. Form
    Research indicates that the form of a warning can affect the extent 
to which consumers notice and read the warning. The form of a warning 
can also communicate the seriousness of a hazard, which can affect 
compliance with recommended behavior. CPSC considered research on 
effective forms for warnings, including the requirements in ANSI 
Z535.4, in developing the proposed form requirements. ASTM F404-15 does 
not include several of the features that have been found to be 
effective, including colors, contrast, typeface, and layout.
    As discussed in Tab E of CPSC staff's briefing package for this 
proposed rule, research indicates the following points about the format 
of warnings:
     Certain colors, particularly red, orange, and yellow, 
attract attention and help convey the presence of a hazard;
     the degree of contrast contributes to readability;
     certain typeface styles, such as sentence capitalization 
(i.e., mixed upper and lowercase) and boldface, are easier to read and 
more effective at highlighting information than extensive 
capitalization;
     left-justified text is easier to read than fully-justified 
text;
     condensed or narrow typeface is less effective at 
conveying information; and
     lists and outline formats provide for better absorption 
and retention of information than continuous paragraph text.
    ASTM F404-15 does not include specific requirements for many of 
these factors. To increase the effectiveness of warnings and further 
reduce the risk of injury, based on this research, CPSC proposes the 
following for high chair warnings:
     Red, orange, or yellow on-product warnings;
     highly contrasting colors, such as black and white;
     sentence capitalization, with key phrases emphasized in 
boldface;
     left-justified text;
     non-condensed typeface; and
     outline format.
3. Placement
    As discussed above, the warning placement and visibility 
requirements in ASTM F404-15 permit different portions of warning 
information to appear on separate labels. CPSC believes that to be most 
effective, all of the warning information should appear together 
because the hazard description and potential injuries help motivate 
caregivers to take the recommended actions. Similarly, CPSC believes 
that it is important for caregivers to be able to see the warnings when 
putting a child into a high chair and when the child is in it. This 
will remind users to use the restraint system when putting the child 
into the high chair and to stay near and watch the child once the high 
chair is in use. ASTM F404-15 only requires certain warning information 
to be visible when a caretaker is placing a child in the high chair, 
not once the chair is occupied; and the standard requires other warning 
information to be visible when the child is in the chair. Based on the 
incident data, CPSC believes it would more effectively reduce the risk 
of injury associated with falls from high chairs if users could see the 
warning after putting a child in the high chair and before leaving the 
child unattended. As such, CPSC proposes requiring warning labels to be 
visible when placing the occupant in the high chair and once the child 
is in the high chair.
4. Additional Guidance
    CPSC also proposes to include a note in the regulatory text 
referencing ANSI Z535.4 for optional additional guidance. CPSC would 
not require compliance with ANSI Z535.4, but the standard may offer 
regulated entities additional useful information for developing 
effective labels.

[[Page 69153]]

C. Warnings in Instructional Literature

    For reasons similar to using warnings in on-product labels, CPSC 
proposes more stringent requirements for warnings in instructional 
literature than ASTM F404-15 provides. CPSC believes that more 
stringent requirements will further reduce the risk of injury 
associated with high chairs by providing more effective warnings 
regarding the hazard, potential injuries, and recommended behavior. 
This includes requirements about the content and form of warnings in 
instructional literature. The discussion below provides the rationale 
for these more-stringent requirements, and the requirements are 
discussed in additional detail in Tab E of CPSC staff's briefing 
package for this proposed rule.
1. Content
    Section 9.2 of ASTM F404-15 requires that instructional literature 
contain the same warnings as the warnings required on the high chair. 
CPSC believes that this requirement is appropriate. However, because 
CPSC proposes to require different on-product warning label content 
than ASTM F404-15, the more-stringent warning requirements also would 
apply to instructional literature. The Commission agrees with the 
additional content requirement listed in section 9.2.1 of ASTM F404-15. 
Therefore, CPSC does not propose to modify that requirement.
2. Form
    Unlike on-product warning labels, ASTM F404-15 does not specify the 
form in which warning statements in instructional literature must 
appear. Similarly to on-product warning labels, research and guidance 
indicate that specific forms are more effective at conveying 
information. The proposed rule refers to ANSI Z535.6, Product Safety 
Information in Product Manuals, Instructions, and Other Collateral 
Materials (``ANSI Z535.6'') for guidance on the design and location of 
product safety messages in instructional literature. The standard is 
available at: http://www.ansi.org/.
    CPSC proposes to require the same form requirements for warnings in 
instructional literature as the requirements proposed for on-product 
warning labels, with one exception. CPSC believes that these form 
requirements will further reduce the risk of injury associated with 
high chairs for the same reasons discussed for on-product warning 
labels. However, CPSC does not propose to require the use of specific 
colors (i.e., red, orange, yellow) for warnings in instructional 
literature unless a manufacturer opts to use color, in which case the 
same color requirements as on-product labels would apply.
3. Additional Guidance
    Similar to ANSI Z535.4, CPSC also proposes to include a note in the 
regulatory text referencing ANSI Z535.6 for optional additional 
guidance. CPSC would not require compliance with ANSI Z535.6, but the 
standard may offer regulated entities additional useful information for 
developing effective warnings in instructional literature.

IX. Amendment to 16 CFR Part 1112 To Include NOR for High Chair 
Standard

    Section 14 of the CPSA establishes requirements for product testing 
and certification. Manufacturers of products that are subject to a 
consumer product safety rule under the CPSA or another rule the 
Commission enforces must certify, based on product testing, that their 
product complies with all such rules. 15 U.S.C. 2063(a)(1). 
Additionally, manufacturers of children's products that are subject to 
a children's product safety rule must have these products tested by a 
third party conformity assessment body that CPSC has accredited, and 
manufacturers must certify that their products comply with all 
applicable children's product safety rules. Id. at 2063(a)(2). The 
Commission must publish an NOR for the accreditation of third party 
conformity assessment bodies to assess conformity with a children's 
product safety rule. Id. at 2063(a)(3). Because the proposed rule is a 
children's product safety rule, if the Commission issues 16 CFR part 
1231, Safety Standard for High Chairs, as a final rule, the CPSC must 
also issue an NOR.
    The Commission published a final rule, codified at 16 CFR part 
1112, titled, Requirements Pertaining to Third Party Conformity 
Assessment Bodies, which established requirements for accreditation of 
third party conformity assessment bodies to test for conformity with 
children's product safety rules in accordance with the CPSA. 78 FR 
15836 (Mar. 12, 2013). Part 1112 also codifies all of the NORs the 
Commission previously issued.
    NORs for new children's product safety rules, such as the high 
chair standard, require the Commission to amend part 1112. To 
accomplish this, as part of this NPR, the Commission proposes to amend 
part 1112 to add high chairs to the list of children's product safety 
rules for which CPSC has issued an NOR.
    Test laboratories applying for acceptance as a CPSC-accepted third 
party conformity assessment body to test for compliance with the 
proposed standard for high chairs would be required to meet the third 
party conformity assessment body accreditation requirements in part 
1112. When a laboratory meets the requirements of a CPSC-accepted third 
party conformity assessment body, the laboratory can apply to CPSC to 
have 16 CFR part 1231, Safety Standard for High Chairs, included in the 
laboratory's scope of accreditation of CPSC safety rules listed for the 
laboratory on the CPSC Web site at: www.cpsc.gov/labsearch.

X. Incorporation by Reference

    Section 1231.2(a) of the proposed rule incorporates by reference 
ASTM F404-15. The Office of the Federal Register (``OFR'') has 
regulations concerning incorporation by reference. 1 CFR part 51. Under 
these regulations, in the preamble of the NPR, an agency must summarize 
the incorporated material and discuss the ways the material is 
reasonably available to interested parties or how the agency worked to 
make the materials reasonably available. 1 CFR 51.5(a).
    In accordance with the OFR's requirements, section V.B. of this 
preamble summarizes the provisions of ASTM F404-15 that the Commission 
proposes to incorporate by reference. ASTM F404-15 is copyrighted. By 
permission of ASTM, interested parties may view the standard as a read-
only document during the comment period of this NPR at: http://www.astm.org/cpsc.htm. Interested parties may also purchase a copy of 
ASTM F404-15 from ASTM International, 100 Bar Harbor Drive, P.O. Box 
0700, West Conshohocken, PA 19428; http://www.astm.org/cpsc.htm. You 
may also inspect a copy at CPSC's Office of the Secretary, U.S. 
Consumer Product Safety Commission, Room 820, 4330 East West Highway, 
Bethesda, MD 20814, telephone 301-504-7923.

XI. Effective Date

    The Administrative Procedure Act (5 U.S.C. 551-559) generally 
requires that the effective date of a rule be at least 30 days after 
publication of the final rule. 5 U.S.C. 553(d). To allow time for high 
chairs to come into compliance with the standard, the Commission 
proposes that the standard become effective 6 months after publication 
of the final rule in the Federal Register. Without evidence to the 
contrary, CPSC generally considers 6 months to be sufficient time for 
suppliers to come into compliance with

[[Page 69154]]

a new standard, and 6 months is typical for other CPSIA section 104 
rules. Six months is also the period that the Juvenile Products 
Manufacturers Association (``JPMA'') typically allows for products in 
the JPMA certification program to transition to a new standard once 
that standard is published. We also propose that the amendment to part 
1112 become effective 6 months after publication of the final rule. We 
ask for comments on this proposed effective date.

XII. Regulatory Flexibility Act

A. Introduction

    The Regulatory Flexibility Act (``RFA''; 5 U.S.C. 601-612) requires 
agencies to consider the impact of proposed rules on small entities, 
including small businesses. Section 603 of the RFA requires the 
Commission to prepare an initial regulatory flexibility analysis 
(``IRFA'') and make it available to the public for comment when the NPR 
is published. The IRFA must describe the impact of the proposed rule on 
small entities and identify significant alternatives that accomplish 
the statutory objectives and minimize any significant economic impact 
of the proposed rule on small entities. Specifically, the IRFA must 
discuss:
     The reasons the agency is considering the action;
     the objectives and legal basis of the proposed rule;
     the small entities that would be subject to the proposed 
rule and, when possible, an estimate of the number of small entities 
that would be impacted;
     the projected reporting, recordkeeping, and other 
compliance requirements of the proposed rule, including the classes of 
small entities subject to it and the professional skills necessary to 
prepare the reports or records; and
     the relevant federal rules that may duplicate, overlap, or 
conflict with the proposed rule. 5 U.S.C. 603.
    This section summarizes the IRFA for this proposed rule. Based on 
CPSC's analysis, staff cannot rule out a significant economic impact 
for 20 of the 38 firms (53 percent) operating in the U.S. market for 
high chairs.

B. Market Description

    CPSC identified 62 firms that supply high chairs to the U.S. 
market. The majority of these firms are domestic (including 27 
manufacturers, 19 importers, and 5 wholesalers). The remaining 11 firms 
are foreign (including 9 manufacturers, 1 importer, and 1 retailer). 
Forty-eight of these firms market their products to consumers, while 14 
firms market their products for use in commercial settings, such as 
restaurants, hotels, and day care centers. However, consumers are able 
to purchase high chairs that are generally designed and marketed for 
use in commercial settings; two of the firms that market their products 
to consumers also produce high chairs identical to the wooden high 
chairs used in restaurants.

C. Reason for Agency Action, Objectives, and Legal Basis for Proposed 
Rule

    Section 104 of the CPSIA requires the CPSC to promulgate a 
mandatory standard for high chairs that is substantially the same as 
the voluntary standard or more stringent than the voluntary standard if 
the Commission determines that more stringent requirements would 
further reduce the risk of injury associated with the product.

D. Description of the Proposed Rule

    CPSC proposes to adopt ASTM F404-15 with modifications to the 
rearward stability test and requirements for warnings on labels and 
instructional literature. Section V. of this preamble discusses key 
provisions of ASTM F404-15.
    CPSC believes that the high chairs of 37 firms comply with ASTM 
F404. This is because JPMA has certified the high chairs supplied by 12 
firms, and the remaining 25 firms state that they comply with the 
voluntary standard. As such, these firms will not incur additional 
costs to comply with the provisions of ASTM F404-15, which CPSC 
proposes to adopt.
    In addition to incorporating ASTM F404-15 by reference, CPSC 
proposes to adopt modified requirements for rearward stability and 
warnings in labels and instructional literature because CPSC believes 
that more stringent standards in these areas would further reduce the 
risk of injury. Section VIII. of this preamble discusses these proposed 
provisions.
    Preliminary testing by CPSC staff and other members of the ASTM 
task group indicates that most high chairs would pass the proposed 
rearward stability test, and therefore, would not require any 
modifications to meet the proposed standard. Through testing high 
chairs and other market research, staff identified only three high 
chairs that might not pass the modified rearward stability test, based 
on their design. However, CPSC expects that the cost of modifying the 
design to increase rearward stability would be low, and that this could 
likely be accomplished by adding flat supports to the bottom of each 
back leg.
    The Commission is also proposing more stringent requirements for 
warnings in labels and instructional literature. All firms would be 
affected by the proposed requirements for warnings in labels and 
instructional literature. Each firm would need to modify the text and 
formatting of the warnings for both the product and the instructional 
literature. Firms would need to move warning labels to the specified 
location, ensuring that the warnings are visible when the child is 
placed in the high chair and when the child is in the high chair. If 
the high chair can be used with and without padding, this would require 
placing the warning on both the high chair and the padding. Section 
XII.F. of this preamble discusses staff's assessment of the impact of 
these proposed requirements on small entities.

E. Other Relevant Federal Rules

    CPSC staff has not identified any federal or state rules that 
duplicate, overlap or conflict with the proposed rule.

F. Impact of the Proposed Rule on Small Businesses

    CPSC is aware of approximately 62 firms currently marketing high 
chairs in the United States, 51 of which are domestic firms. Under U.S. 
Small Business Administration (``SBA'') guidelines, a high chair 
manufacturer is ``small'' if it has 500 or fewer employees, and 
importers and wholesalers are small if they have 100 or fewer 
employees. CPSC limited its analysis to domestic firms because SBA 
guidelines and definitions pertain to U.S. entities. Based on these 
guidelines and available information about the firms, staff has 
identified 38 of the 51 domestic suppliers as small (21 manufacturers, 
13 importers, and 4 wholesalers). There may be additional small 
domestic high chair suppliers that CPSC is not aware of who are 
operating in the U.S. market. Table 3 lists the number of firms by 
category:

           Table 3--Firms That Market High Chairs in the U.S.
------------------------------------------------------------------------
                                                             Number of
                        Category                               firms
------------------------------------------------------------------------
Domestic................................................              51
  Small.................................................              38
    Manufacturers.......................................              21
      Compliant with ASTM F404..........................              12
      Not Compliant with ASTM F404......................               9
    Importers and Wholesalers...........................              17

[[Page 69155]]

 
      Compliant with ASTM F404..........................               9
      Not Compliant with ASTM F404......................               8
  Large.................................................              13
Foreign.................................................              11
                                                         ---------------
        Total...........................................              62
------------------------------------------------------------------------

1. Small Manufacturers With Compliant High Chairs
    Of the 21 small manufacturers, 12 produce high chairs that comply 
with ASTM F404-14. In general, CPSC expects small manufacturers that 
already comply with the voluntary standard will continue to comply with 
the standard as the standard evolves because they follow, and in three 
cases, actively participate in ASTM's standard-development process. As 
such, compliance with the voluntary standard is part of these firms' 
established business practice. Because ASTM approved ASTM F404-15 on 
May 15, 2015, these firms would likely be in compliance with the 
standard before the proposed rule would take effect.
    For this reason, the economic impact of the proposed rule should be 
small for 10 of the 12 small domestic manufacturers. These 10 firms 
include one firm that may need to modify its high chair to meet the 
proposed rearward stability test; as discussed above, the cost 
associated with this modification is likely small.
    However, the proposed warning label requirements may create a 
significant economic impact for two small manufacturers. Both firms 
produce high chairs with compact designs, with one serving the 
commercial restaurant market. Redesigning the seat back would provide 
additional space for warning labels, but may reduce the chairs' 
compactness, which may be an important feature for marketability. For 
one firm, high chairs represent a small part of its product line, but 
it is unclear whether the firm could stop producing high chairs because 
CPSC was unable to obtain sales revenue information. For the second 
firm, high chairs represent an integral part of its commercial product 
line, so discontinuing that product line could create a significant 
economic burden. CPSC requests input on consumer preferences for 
compact high chairs, how compact high chair manufacturers would respond 
to the proposed warning label requirements, and the costs of developing 
a compliant product.
2. Small Manufacturers with NonCompliant High Chairs
    Nine small manufacturers produce high chairs that do not comply 
with the voluntary standard, five who market their products for use in 
commercial settings, primarily in restaurants. CPSC believes it is 
possible that there would be a significant economic impact on some of 
these manufacturers. The five producers of restaurant-style high chairs 
would need to make several changes to meet the base requirements of 
ASTM F404-15. As discussed previously, different circumstances and 
needs exist for restaurant-style high chairs. Complying with the 
proposed rule may undermine some of the characteristics that make 
certain high chair features desirable in restaurant settings. For 
example, leg holes tend to be larger for restaurant-style high chairs 
to accommodate children clothed in outerwear and children of varied 
ages and sizes. The proposed standard would preclude some features.
    Manufacturers of restaurant-style high chairs may also need to make 
changes to meet the proposed warning label requirements. For example, 
two firms manufacture plastic high chairs that may need to be 
redesigned to comply with the proposed warning label requirements.
    Four firms that do not currently comply with the ASTM standard 
produce high chairs for home use. One of these four firms likely would 
need to make significant changes to its product to meet the proposed 
warning label requirements, given the compact design of its product. 
The three remaining firms appear to have sufficient room on their high 
chairs to accommodate the proposed warning labels without redesign, and 
any modifications to the high chairs would be due to the requirements 
of ASTM F404-15. However, CPSC staff could not determine the extent or 
cost of the changes that may be necessary, so we cannot rule out a 
significant economic impact.
    CPSC requests comments on the differences between restaurant-style 
high chairs and high chairs produced for home use, as well as the 
desirability of particular features in these respective environments. 
CPSC also requests information about the changes that would be 
necessary to meet the proposed requirement, including whether redesign 
or retrofitting would be necessary and whether there would be any 
associated costs.
3. Third Party Testing Costs for Small Manufacturers
    Under section 14 of the CPSA, if CPSC adopts the proposed high 
chair requirements, all manufacturers will be subject to the third 
party testing and certification requirements under 16 CFR part 1107. 
Third party testing would include any physical and mechanical test 
requirements specified in a final high chair rule. Manufacturers and 
importers should already be conducting required lead testing for high 
chairs. Third party testing costs would be in addition to the direct 
costs of meeting the high chair standard.
    More than half of small high chair manufacturers (11 out of 21) are 
already testing their products to verify compliance with the ASTM 
standard, although not necessarily by a third party laboratory. For 
these manufacturers, the impact on testing costs would be limited to 
the difference between the cost of third party tests and the cost of 
current testing regimes. The suppliers that CPSC staff contacted 
estimate that obtaining third party testing for high chairs would cost 
about $600 to $900 per model sample. For manufacturers that are already 
testing, the incremental costs will be lower than that.
    Based on CPSC staff's examination of firm revenues from recent Dun 
& Bradstreet or ReferenceUSAGov reports, the impact of third party 
testing, alone is unlikely to be economically significant for small 
manufacturers of noncompliant high chairs. Even without knowing how 
many samples would be needed to meet the ``high degree of assurance'' 
criterion in part 1107, more than 12 units per model would be required 
before testing costs exceed 1 percent of gross revenue for the small 
manufacturer with the lowest gross revenue. CPSC could not obtain 
revenue information for one small manufacturer, and therefore, could 
not evaluate the impact on that firm. CPSC requests comments on testing 
costs and incremental costs of third party testing (i.e., how much does 
moving from a voluntary to a mandatory third party testing regime add 
to testing costs, in total, and on a per-test basis). In particular, 
CPSC requests comments on the preliminary determination that third 
party testing is unlikely to lead to significant economic impacts for 
small high chair manufacturers. In addition, CPSC would like comments 
about the number of high chair units that typically need to be tested 
to provide a ``high degree of assurance.''

[[Page 69156]]

4. Small Importers and Wholesalers With Compliant High Chairs
    CPSC considered the economic impact to importers and wholesalers 
together, because both rely on outside firms to supply the products 
they distribute to the U.S. market. Importers distribute products made 
by foreign firms and are often closely related to the firms producing 
their products. CPSC was unable to determine the source of wholesalers' 
high chairs, but the sources are likely from other suppliers that may 
be foreign or domestic.
    In the absence of a mandatory regulation, the nine firms (seven 
small importers and two small wholesalers) currently in compliance with 
the voluntary standard likely would remain in compliance with new 
versions. However, the high chairs these firms supply would require 
modifications to meet the proposed requirements. There are two firms 
that may require modifications to meet the rearward stability 
requirement (one importer and one wholesaler) but, as discussed above, 
these costs are likely to be low. The cost of modifying the wording and 
format of the warnings should be small, as well, given that such 
changes typically add only a few cents per unit to production costs.
    The proposed placement requirements for warnings, however, could be 
more costly, possibly requiring firms to retrofit or redesign their 
high chairs. Four of the nine firms likely would have to modify the 
design of their high chairs to meet the proposed warnings label 
visibility requirement. The high chairs of two firms have compact 
designs, making the display of warning labels difficult. The remaining 
two firms provide information in a number of languages that would 
exceed the space available on their high chairs. Finding an alternative 
supply source would not be a viable alternative for three of the four 
firms, due to close relationships with their suppliers; however, all 
three firms supply a sufficient number of other products that could 
probably allow these firms to eliminate high chairs from their product 
line entirely. The fourth firm is a commercial supplier, and high 
chairs are an integral part of this firm's product line; therefore, 
exiting the high chair market would likely cause this firm to go out of 
business. CPSC requests comments on how importers would respond to the 
proposed rule and what are the costs of developing a compliant product.
5. Small Importers and Wholesalers With Noncompliant High Chairs
    There is insufficient information to rule out a significant impact 
for any of the eight importers and wholesalers of noncompliant high 
chairs. Whether there would be a significant economic impact would 
depend upon the extent of the changes required for these firms to come 
into compliance and the response of their suppliers. Their suppliers 
may pass on to the importers and wholesalers any increase in production 
costs that result from the proposed changes.
    Six of the eight importers and wholesalers with noncompliant high 
chairs do not appear to have direct ties to their product suppliers. 
Therefore, these firms may choose to switch to alternative suppliers or 
manufacture other products, rather than bear the costs of complying 
with the proposed standard. It is unclear whether the costs of 
complying with the proposed requirements would be significant for these 
firms. Three firms supply restaurant-style high chairs, including one 
plastic high chair. As such, although the three firms may find 
compliant high chairs from alternative supply sources, these firms 
would share the same concerns as restaurant-style high chair 
manufacturers regarding the desirability of their product to their 
customers. Two of the six firms supply high chairs to the consumer 
market that are identical to several supplied to the commercial market. 
Although the costs of complying with the proposed standard could be 
significant for these two firms, high chairs make up only a small part 
of their product lines. Therefore, the two firms may eliminate high 
chairs from their product lines or select compliant high chairs from 
another supplier. However, CPSC was unable to obtain sales revenue for 
high chairs and could not determine whether exiting the high chair 
market would generate significant economic impacts.
    The remaining two firms are directly tied to their foreign 
suppliers. Therefore, finding an alternative supply source would not be 
a viable alternative. However, these foreign suppliers may wish to 
comply with the proposed requirements to continue to market their 
products in the United States. Although it is possible that these firms 
could stop selling high chairs, it is unlikely for two of these firms 
because high chairs represent one of only a few products in their 
lines. Again, CPSC could not determine whether exiting the high chair 
market would generate significant economic impacts, given the lack of 
sales revenue for high chairs.
6. Third Party Testing Costs for Small Importers and Wholesalers
    As with manufacturers, all importers and wholesalers would be 
subject to third party testing and certification requirements, if CPSC 
adopts a final high chair standard. Consequently, importers and 
wholesalers would be subject to costs similar to manufacturers' costs 
if the foreign suppliers of importers and wholesalers do not obtain 
third party testing. Just over half of high chair importers and 
wholesalers (9 out of 17) already test their products to verify 
compliance with the ASTM standard. Any additional costs associated with 
a final high chair rule thus would be limited to the incremental costs 
of third party testing over the current testing regime.
    There may be significant costs for two or three firms that do not 
comply with the ASTM standard to obtain third party certification. 
Specifically, for two firms, the cost of testing as few as three units 
per model could exceed 1 percent of their gross revenue. A third firm 
would need to test about six units per model before testing costs would 
exceed 1 percent of its gross revenue. CPSC was unable to obtain 
revenue data for one small, noncompliant importer, and therefore, could 
not examine the size of the impact on that firm.
7. Summary of Impacts
    CPSC staff is aware of 38 small firms that currently market high 
chairs in the United States, of which 21 are domestic manufacturers and 
17 are domestic importers or wholesalers. Of the 21 small 
manufacturers, 10 are unlikely to experience significant economic 
impacts as a result of the proposed rule. However, CPSC cannot rule out 
a significant economic impact for the remaining 11 manufacturers. For 
eight of the small importers and wholesalers, it is unlikely the 
proposed rule would have a significant economic impact, based on a 
review of firm revenues and the options available to each firm. 
However, it is possible that the proposed rule would have a significant 
economic impact on the remaining nine small importers and wholesalers. 
Therefore, in total, based on current information, CPSC cannot rule out 
a significant economic impact for 20 of the 38 firms (53 percent) 
operating in the U.S. high chair market.
8. Impacts of Test Laboratory Accreditation Requirements on Small 
Laboratories
    In accordance with section 14 of the CPSA, all children's products 
that are subject to a children's product safety

[[Page 69157]]

rule must be tested by a third party conformity assessment body that 
has been accredited by CPSC. These third party conformity assessment 
bodies test products for compliance with applicable children's product 
safety rules. Testing laboratories that want to conduct this testing 
must meet the NOR for third party conformity testing. CPSC has codified 
NORs in 16 CFR part 1112. CPSC proposes to amend 16 CFR part 1112 to 
establish an NOR for testing laboratories to test for compliance with 
the proposed high chair standard. This section assesses the impact of 
this proposed amendment on small laboratories.
    CPSC conducted a Final Regulatory Flexibility Analysis (``FRFA'') 
when it adopted part 1112. 78 FR 15836 (Mar. 12, 2013). The FRFA 
concluded that the accreditation requirements would not have a 
significant adverse impact on a substantial number of small 
laboratories because no requirements were imposed on laboratories that 
did not intend to provide third party testing services. The only 
laboratories that were expected to provide such services were 
laboratories that anticipated receiving sufficient revenue from the 
mandated testing to justify accepting the requirements as a business 
decision.
    For the same reasons, including the NOR for high chairs in part 
1112 would not have a significant adverse impact on small laboratories. 
Moreover, CPSC expects that only a small number of laboratories would 
request accreditation to test high chairs, based on the number of 
laboratories that have applied for CPSC accreditation to test for 
conformance to other juvenile product standards. Most laboratories 
would already have accreditation to test for conformance to other 
juvenile product standards, and then the only costs would be to add the 
high chair standard to their scope of accreditation. Test laboratories 
have indicated that this cost is extremely low when they are already 
accredited for other CPSIA section 104 rules. Therefore, the Commission 
certifies that the NOR for the high chair standard will not have a 
significant impact on a substantial number of small entities.

G. Alternatives

    At least four alternatives are available to minimize the economic 
impact on small entities supplying high chairs while also complying 
with the direction of section 104 of the CPSIA: (1) Adopt ASTM F404-15 
with no modifications; (2) adopt ASTM F404-15 with the proposed 
modifications, except for requirements on the placement of warning 
labels; (3) adopt ASTM F404-15 with the proposed modifications, but 
exclude restaurant-style high chairs from the scope of the rule; and 
(4) provide a later effective date for some or all high chairs.
    First, section 104 of the CPSIA directs the Commission to 
promulgate a standard that is either substantially the same as the 
voluntary standard or more stringent if the Commission determines that 
would further reduce the risk of injury associated with the product. 
Therefore, adopting ASTM F404-15 with no modifications is the least 
stringent rule CPSC could adopt. This alternative would reduce the 
economic impact on all of the small businesses supplying high chairs to 
the U.S. market. Although, choosing this alternative would not reduce 
the testing costs associated with the rule, this option would eliminate 
the economic impact of complying with the requirements that CPSC 
proposes in addition to ASTM F404-15 for many firms. Specifically, this 
option would eliminate the cost of complying with the additional 
requirements for the 10 small domestic manufacturers and 9 small 
importers and wholesalers with compliant high chairs, all of whom would 
likely comply with ASTM F404-15 by the time a CPSC final rule for high 
chairs would take effect. However, the requirements that CPSC proposes 
in addition to ASTM F404-15 would reduce the risk of injuries 
associated with backward tip-over incidents and fall incidents where 
caregivers did not use restraints or used the restraints improperly. 
Adopting ASTM F404-15 with no modifications would not meet these 
objectives.
    Second, the Commission could reduce impacts to small businesses by 
adopting ASTM F404-15 with the proposed modifications, except for the 
requirement regarding the placement and visibility requirements for 
warning labels. One option is to require warning labels to be visible 
only as a child is being placed into the high chair. This would reduce 
the proportion of high chair models with backs that would need to be 
redesigned and expanded to accommodate labels that are visible when the 
high chair is occupied. Another option would be to allow duplicate 
labels. Manufacturers could place one label on the front seat back, 
which would be visible when the child is placed in the seat, and 
manufacturers could place a second label in a location that is visible 
when the child is in the high chair. This alternative would reduce the 
economic impact on compact high chairs or high chairs with smaller 
backs.
    Third, because a substantial portion of the economic impact of the 
proposed rule would fall on small, restaurant-style high chair 
suppliers, CPSC could exclude restaurant-style high chairs from this 
rule. Restaurant settings have unique requirements, including a need 
for smaller high chairs and to accommodate children of various sizes. 
It would be difficult to retain these features and comply with the 
proposed requirements. Moreover, CPSC has identified only a few 
injuries that involved high chairs in restaurant settings. Therefore, 
the reduction in safety benefits associated with limiting the rule's 
scope likely would be minimal.
    If restaurants could no longer provide high chairs with the 
desirable attributes, restaurants may stop providing high chairs for 
customers, which could result in customers using less safe options, 
such as placing infant carriers on tables or chairs, or using booster 
seats for children under the appropriate age. CPSC requests comments on 
the potential impact of excluding restaurant-style high chairs from the 
proposed rule, including cost and safety impacts.
    Because restaurant-style high chairs are also available to 
consumers for home use, CPSC could take steps to reduce the potential 
safety risks of these high chairs through other means. For example, 
CPSC could require restaurant-style high chair suppliers to label their 
products: ``not intended for home use.'' Additionally, CPSC could 
develop separate warning label requirements for these products to 
inform users of the specific hazard patterns related to restaurant-
style high chairs. ASTM could also develop requirements specific to 
restaurant-style high chairs. CPSC requests comments on the possibility 
of excluding restaurant-style high chairs from the proposed 
requirements, including the implications for safety and costs.
    Fourth, the Commission could reduce the economic impact of the 
proposed rule on small businesses by setting a later effective date for 
some or all high chairs. A later effective date would reduce the 
economic impact on firms in two ways. First, firms would be less likely 
to experience a lapse in production or imports that could result if 
they are unable to come into compliance and secure third party testing 
within the required timeframe. Second, firms could spread costs over a 
longer period, thereby reducing annual costs, as well as the present 
value of total costs. CPSC requests comments on the 6-month effective 
date, as well as feedback on how firms likely would

[[Page 69158]]

address the proposed rule. CPSC could also consider a longer effective 
date for firms that supply restaurant-style high chairs. However, this 
may not reduce the economic impact on these firms because the primary 
cost issue for them is the utility of their high chairs, not the time 
needed to comply with the standard. Nevertheless, CPSC requests 
comments, particularly from restaurants and other commercial 
establishments, on the validity of this conclusion.

XIII. Environmental Considerations

    The Commission's regulations outline the types of agency actions 
that require an environmental assessment (``EA'') or environmental 
impact statement (``EIS''). Rules that have ``little or no potential 
for affecting the human environment'' fall within a ``categorical 
exclusion'' under the National Environmental Policy Act (``NEPA''; 42 
U.S.C. 4231-4370h) and the regulations implementing NEPA (40 CFR parts 
1500-1508) and do not normally require an EA or EIS. As stated in 16 
CFR 1021.5(c)(1), rules or safety standards that provide design or 
performance requirements for products fall within that categorical 
exclusion. Because this proposed rule would create design and 
performance requirements for high chairs, the proposed rule falls 
within the categorical exclusion, and thus, no EA or EIS is required.

XIV. Paperwork Reduction Act

    This proposed rule contains information collection requirements 
that are subject to public comment and review by the Office of 
Management and Budget (``OMB'') under the Paperwork Reduction Act of 
1995 (``PRA''; 44 U.S.C. 3501-3521). Under 44 U.S.C. 3507(a)(1)(D), an 
agency must publish the following information:
     a title for the collection of information;
     a summary of the collection of information;
     a brief description of the need for the information and 
the proposed use of the information;
     a description of the likely respondents and proposed 
frequency of response to the collection of information;
     an estimate of the burden that shall result from the 
collection of information; and
     notice that comments may be submitted to OMB.
    In accordance with this requirement, the Commission provides the 
following information:
    Title: Safety Standard for High Chairs
    Description: The proposed rule would require each high chair to 
comply with ASTM F404-15, with additional requirements regarding 
rearward stability and warnings in labels and instructional literature. 
Sections 8 and 9 of ASTM F404-15 contain requirements for labels and 
instructional literature. These requirements fall within the definition 
of ``collection of information'' provided in the PRA at 44 U.S.C. 
3502(3).
    Description of Respondents: Persons who manufacture or import high 
chairs.
    Estimated Burden: CPSC estimates the burden of this collection of 
information as follows:

                                                       Table 4--Estimated Annual Reporting Burden
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Number of       Frequency of     Total annual      Hours per       Total burden
                           16 CFR section                              respondents       responses        responses         response          hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
1231.2.............................................................              62                2              124                1              124
--------------------------------------------------------------------------------------------------------------------------------------------------------

    CPSC's estimate is based on the following:
    Section 8.1 of ASTM F404-15 requires that the name and address 
(city, state, and zip code) of the manufacturer, distributor, or seller 
be marked on each high chair. Section 8.2 of ASTM F404-15 requires a 
code mark or other product identification on each high chair and the 
high chair's package that indicates the date (month and year) of 
manufacture.
    Sixty-two known entities supply high chairs to the U.S. market and 
may need to modify their existing labels to comply with ASTM F404-15. 
CPSC estimates that the time required to make these modifications is 
about 1 hour per model. Based on an evaluation of supplier product 
lines, each entity supplies an average of two models of high chairs. 
Therefore, the estimated burden associated with labels is 1 hour per 
model x 62 entities x 2 models per entity = 124 hours. CPSC estimates 
the hourly compensation for the time required to create and update 
labels is $30.19 (U.S. Bureau of Labor Statistics, ``Employer Costs for 
Employee Compensation,'' Mar. 2015, Table 9, total compensation for all 
sales and office workers in goods-producing private industries: http://www.bls.gov/ncs/). Therefore, the estimated annual cost associated with 
the proposed labeling requirements is $3,743.56 ($30.19 per hour x 124 
hours = $3,743.56). No operating, maintenance, or capital costs are 
associated with the collection.
    Section 9.1 of ASTM F404-15 requires instructions to be supplied 
with a high chair. High chairs are products that generally require use 
and assembly instructions. As such, high chairs sold without use and 
assembly instructions would not be able to compete successfully with 
high chairs that supply this information. Under OMB's regulations, the 
time, effort, and financial resources necessary to comply with a 
collection of information incurred by parties in the ``normal course of 
their activities'' are excluded from a burden estimate when an agency 
demonstrates that the disclosure activities required are ``usual and 
customary.'' 5 CFR 1320.3(b)(2). CPSC is unaware of high chairs that 
generally require use or assembly instructions but lack such 
instructions. Therefore, CPSC estimates that no burden hours are 
associated with section 9.1 of ASTM F404-15, because any burden 
associated with supplying instructions with high chairs would be 
``usual and customary,'' and thus, excluded from ``burden'' estimates 
under OMB's regulations.
    Based on this analysis, the proposed standard for high chairs would 
impose a burden to industry of 124 hours at a cost of $3,743.56 
annually.
    CPSC has submitted the information collection requirements of this 
rule to OMB for review in accordance with PRA requirements. 44 U.S.C. 
3507(d). CPSC requests interested parties submit comments regarding 
information collection to the Office of Information and Regulatory 
Affairs, OMB (see the ADDRESSES section at the beginning of this 
notice). Pursuant to 44 U.S.C. 3506(c)(2)(A), the Commission invites 
comments on:
     whether the proposed collection of information is 
necessary for the proper performance of CPSC's functions, including 
whether the information will have practical utility;
     the accuracy of CPSC's estimate of the burden of the 
proposed collection of information, including the validity of the 
methodology and assumptions used;
     ways to enhance the quality, utility, and clarity of the 
information the Commission proposes to collect;

[[Page 69159]]

     ways to reduce the burden of the collection of information 
on respondents, including the use of automated collection techniques, 
when appropriate, and other forms of information technology; and
     the estimated burden hours associated with modifying 
labels and instructional literature, including any alternative 
estimates.

XV. Preemption

    Under section 26(a) of the CPSA, no state or political subdivision 
of a state may establish or continue in effect a requirement dealing 
with the same risk of injury as a federal consumer product safety 
standard under the CPSA unless the state requirement is identical to 
the federal standard. 15 U.S.C. 2075(a). States or political 
subdivisions of states may, however, apply to the Commission for an 
exemption, allowing them to establish or continue such a requirement if 
the state requirement provides a significantly high degree of 
protection from the risk of injury and does not unduly burden 
interstate commerce. Id. at 2075(c).
    One of the functions of the CPSIA was to amend the CPSA, adding 
several provisions to CPSA, including CPSIA section 104 in 15 U.S.C. 
2056a. As such, consumer product safety standards that the Commission 
creates under CPSIA section 104 are covered by the preemption provision 
in the CPSA. Consequently, the rule proposed in this NPR would be a 
federal consumer product safety standard, and the preemption provision 
in section 26 of the CPSA would apply.

XVI. Request for Comments

    This NPR begins a rulemaking proceeding under section 104(b) of the 
CPSIA to issue a consumer product safety standard for high chairs and 
to amend part 1112 to add high chairs to the list of children's product 
safety rules for which CPSC has issued an NOR. We invite all interested 
persons to submit comments on any aspect of the proposed mandatory 
safety standard for high chairs and on the proposed amendment to part 
1112. Specifically, the Commission requests comments on the following:
     the requirements in ASTM F404-15, including their 
effectiveness in addressing the risk of injury associated with high 
chairs and the costs of complying with these requirements;
     the additional requirements proposed for rearward 
stability, including its effectiveness in addressing the risk of injury 
associated with rearward tip-overs and the costs of complying with 
these requirements;
     the additional requirements proposed for warnings in 
labels and instructional literature, including their effectiveness at 
addressing the risk of injury associated with falls from high chairs 
and the costs of complying with these requirements;
     whether application of different requirements to 
restaurant-style high chairs is appropriate, relevant safety 
implications, and options for applying distinct standards;
     the costs to small businesses associated with the 
requirements proposed in this NPR, including the costs to comply with 
the proposed rearward stability requirements, content and form 
requirements for labels and instructional literature, and placement 
requirements for labels;
     alternatives to the proposed standard that would reduce 
impacts on small businesses;
     the proposed effective date and whether an extended 
effective date would further mitigate the impact on small businesses 
and to what extent; and
     any additional information relevant to the issues 
discussed in this NPR and the proposed requirements.
    During the comment period, ASTM F404-15 is available for review. 
Please see section X. for instructions on viewing it.
    Please submit comments in accordance with the instructions in the 
ADDRESSES section at the beginning of this NPR.

List of Subjects

16 CFR Part 1112

    Administrative practice and procedure, Audit, Consumer protection, 
Reporting and recordkeeping requirements, Third party conformity 
assessment body.

16 CFR Part 1231

    Consumer protection, Imports, Incorporation by reference, Infants 
and children, Labeling, Law enforcement, and Toys.

    For the reasons discussed in the preamble, the Commission proposes 
to amend Title 16 of the Code of Federal Regulations as follows:

PART 1112--REQUIREMENTS PERTAINING TO THIRD PARTY CONFORMITY 
ASSESSMENT BODIES

0
1. The authority citation for part 1112 continues to read as follows:

    Authority: Pub. L. 110-314, section 3, 122 Stat. 3016, 3017 
(2008); 15 U.S.C. 2063.
0
2. Amend Sec.  1112.15 by adding paragraph (b)(44) to read as follows:


Sec.  1112.15  When can a third party conformity assessment body apply 
for CPSC acceptance for a particular CPSC rule or test method?

* * * * *
    (b) * * *
    (44) 16 CFR part 1231, Safety Standard for High Chairs.
* * * * *
0
3. Add part 1231 to read as follows:

PART 1231-SAFETY STANDARD FOR HIGH CHAIRS

Sec.
1231.1 Scope.
1231.2 Requirements for high chairs.

    Authority: The Consumer Product Safety Improvement Act of 2008, 
Pub. L. 110-314, Sec.  104, 122 Stat. 3016 (August 14, 2008); Pub. 
L. 112-28, 125 Stat. 273 (August 12, 2011).


Sec.  1231.1  Scope.

    This part establishes a consumer product safety standard for high 
chairs.


Sec.  1231.2  Requirements for high chairs.

    (a) Except as provided in paragraphs (b) through (e) of this 
section, each high chair must comply with all applicable provisions of 
ASTM F404-15, Standard Consumer Safety Specification for High Chairs, 
approved on May 15, 2015. The Director of the Federal Register approves 
this incorporation by reference in accordance with 5 U.S.C. 552(a) and 
1 CFR part 51. You may obtain a copy from ASTM International, 100 Bar 
Harbor Drive, P.O. Box 0700, West Conshohocken, PA 19428; http://www.astm.org/cpsc.htm. You may inspect a copy at the Office of the 
Secretary, U.S. Consumer Product Safety Commission, Room 820, 4330 East 
West Highway, Bethesda, MD 20814, telephone 301-504-7923, or at the 
National Archives and Records Administration (NARA). For information on 
the availability of this material at NARA, call 202-741-6030, or go to: 
http://www.archives.gov/federal_register/code_of_federal_regulations/ibr_locations.html.
    (b) Instead of complying with section 6.5 of ASTM F404-15, comply 
with the following:
    (1) 6.5.1 Forward and sideways stability--A chair shall not tip 
over when forces are applied in accordance with 7.7.2.4 and 7.7.2.5.
    (2) 6.5.2 Rearward stability--When tested in accordance with 
7.7.2.6 (paragraph (c)(3) of this section), a high chair shall not have 
a Rearward Stability Index of 50 or more.
    (c) For rearward stability testing, instead of complying with 
sections 7.7.2.1, 7.7.2.2, and 7.7.2.6 of ASTM F404-15, comply with the 
following:

[[Page 69160]]

    (1) 7.7.2.1 Place the high chair in a manufacturer's recommended 
use position with all legs on a level floor and with the seat back 
adjusted into the most upright position. Attach the tray in the rear 
position, closest to the high chair seat back. For high chairs with 
height-adjustable seats, adjust the seat into the highest 
manufacturer's recommended use position or the position deemed most 
likely to fail. If a high chair has lockable wheels, those wheels shall 
be locked during stability testing.
    (2) 7.7.2.2 Place the high chair on a rigid, horizontal test 
surface covered with 60 grit sandpaper or equivalent to prevent the 
chair from sliding on the test surface during the test. If a high chair 
slides on the test surface during the test or has wheels that do not 
lock, place a stop on the test surface to prevent sliding during the 
test. The stop shall be low profile, minimum height required to prevent 
sliding, and shall not inhibit the tipping of the high chair or affect 
the test results.
    (3) 7.7.2.6 Rearward stability--
    (i) 7.7.2.6.1 Attach a force gauge to the rear surface of the seat 
back at the lateral centerline and 7 \1/4\ in. (184 mm) above the 
occupant seating surface as shown in Figure 1. For high chairs with a 
seat back 7 \1/4\ in. (184 mm) high or less, attach the force gauge at 
the lateral centerline and top surface of the seat back.
[GRAPHIC] [TIFF OMITTED] TP09NO15.319

    (ii) 7.7.2.6.2 With the high chair in the at rest position, 
gradually apply a preload force ``F'' of 3 lbf (13 N) to the seat back 
surface of the high chair and while maintaining the force, establish 
the initial location of a reference point some distance away from the 
force gauge as shown in Figure 1.
    (iii) 7.7.2.6.3 Gradually increase the horizontal force over a 
period of at least 5 seconds and continue to pull the high chair 
rearward until the high chair reaches the point that it becomes 
unstable and is on the verge of tipping over. Record the maximum force 
``F'' in pounds (lbs.) applied during the test and the horizontal 
distance ``D'' in inches (in.) from the initial location of the 
reference point to the location of the reference point where the high 
chair becomes unstable and is on the verge of tipping over. Force ``F'' 
shall be maintained in a horizontal direction throughout the test.
    (iv) 7.7.2.6.4 Calculate the Rearward Stability Index using the 
formula shown below.

Rearward Stability Index = 2F + D
Force ``F'' is measured in pounds (lbs.).
Distance ``D'' in measured in inches (in.)

    (d) Instead of complying with section 8.4 of ASTM F404-15, comply 
with the following:
    (1) 8.4 Warning Statements--Each Product Shall Have Warning 
Statements:
    (i) 8.4.1 The warnings shall be easy to read and understand and be 
in the English language at a minimum.
    (ii) 8.4.2 Any labels or written instructions provided in addition 
to those required by this section shall not contradict or confuse the 
meaning of the required information, or be otherwise misleading to the 
consumer.
    (iii) 8.4.3 The warning statements shall be conspicuous, in highly 
contrasting color(s) (e.g., black text on a white background), 
permanent, and in non-condensed sans serif style type.
    (iv) 8.4.4 Each warning statement or group of warning statements 
shall be preceded by the Safety Alert Symbol
[GRAPHIC] [TIFF OMITTED] TP09NO15.320


and the signal word ``WARNING'' in bold uppercase letters. If warnings 
are placed directly under or adjacent to one another, then the safety 
alert symbol and the signal word WARNING need to be displayed only 
once. The Safety Alert Symbol
[GRAPHIC] [TIFF OMITTED] TP09NO15.320


and the signal word ``WARNING'' shall not be less than 0.2 in. (5 mm) 
high and the remainder of the text shall be in characters whose 
uppercase shall not be less than 0.1 in. (2.5 mm) high. The height of 
the safety alert symbol shall equal or exceed the signal word height.
    (v) 8.4.5 The safety alert symbol

[[Page 69161]]

[GRAPHIC] [TIFF OMITTED] TP09NO15.320


and the signal word ``WARNING'' shall be in contrasting color to the 
background and delineated with solid black line borders. The background 
color behind the safety alert symbol
[GRAPHIC] [TIFF OMITTED] TP09NO15.320


and the signal word ``WARNING'' shall be orange, red, or yellow, 
whichever provides the best contrast against the product background. 
The signal word ``WARNING'' and the solid triangle portion of the 
safety alert symbol
[GRAPHIC] [TIFF OMITTED] TP09NO15.320


shall be black. The exclamation mark of the safety alert symbol
[GRAPHIC] [TIFF OMITTED] TP09NO15.320


shall be the same color as the background. The remainder of the text 
shall be black, with key words highlighted using boldface, on a white 
background surrounded by a solid black line border. This text also 
shall be left-justified, in upper and lowercase letters (i.e., sentence 
capitalization), and in list or outline format, with precautionary 
statements indented from hazard statements and preceded with bullet 
points. An example label in the format described in this section is 
shown in Figure 2.
[GRAPHIC] [TIFF OMITTED] TP09NO15.321


    Note:  For optional additional guidance on the design of 
warnings, see the most-recent edition of ANSI Z535.4, Product Safety 
Signs and Labels, American National Standards Institute, Inc., 
available at http://www.ansi.org/.

    (vi) 8.4.6 The warning statements shall be in a location that is 
visible by the caregiver while placing the occupant into the high chair 
in each of the manufacturer's recommended use positions.
    (vii) 8.4.7 High chairs that do not have a seating component that 
is also used as a seating component of a stroller, shall, in the same 
label, address the following warning statements:
    Children have suffered skull fractures after falling from high 
chairs. Falls can happen quickly if child is not restrained properly.
     Always use restraints, and adjust to fit snugly. Tray is 
not designed to hold child in chair.
     Stay near and watch your child during use.
    (viii) 8.4.8 High chairs that have a seating component that is also 
used as a seating component of a stroller shall use the warning 
statements as specified in subsections 8.2.2.1 and 8.2.2.2 of the 
version of the standard that is incorporated by reference in part 1227 
of this subchapter, in place of the warning statements in 8.4.7 
(paragraph (d)(vii) of this section).
    (e) Instead of complying with section 9.2 of ASTM F404-15, comply 
with the following:
    (1) 9.2 The instructions shall contain the warnings as specified in 
section 8.4 (paragraph (d)(1) of this section). Additional warnings 
similar to the statements included in this section shall also be 
included. These required warning statements shall meet the requirements 
described in section 8.4 (paragraph (d)(1) of this section), except for 
the color requirements (i.e., the background of the signal word panel 
need not be orange, red, or yellow). However, the warning statements 
still must be in highly contrasting color(s) (e.g., black text on a 
white background), and if color is used, those colors must meet the 
color requirements specified in section 8.4 (paragraph (d)(1) of this 
section).
    (2) Reference to section 9.2 of ASTM F404-15 in paragraph (e) of 
this section includes only the introductory paragraph of section 9.2 
and does not include subsections 9.2.1 or 9.2.2 of ASTM F404-15.

    Note: For optional additional guidance on the design of warnings 
for instructional literature, see the most-recent addition of ANSI 
Z535.6, Product Safety Information in Product Manuals, Instructions, 
and Other Collateral Materials, American National Standards 
Institute, Inc., available at http://www.ansi.org/.


    Dated: November 2, 2015.
Todd A. Stevenson,
Secretary, Consumer Product Safety Commission.
[FR Doc. 2015-28300 Filed 11-6-15; 8:45 am]
BILLING CODE 6355-01-P



                                                69144

                                                Proposed Rules                                                                                                Federal Register
                                                                                                                                                              Vol. 80, No. 216

                                                                                                                                                              Monday, November 9, 2015



                                                This section of the FEDERAL REGISTER                    Information and Regulatory Affairs, the               of the Danny Keysar Child Product
                                                contains notices to the public of the proposed          Office of Management and Budget, Attn:                Safety Notification Act, requires the
                                                issuance of rules and regulations. The                  CPSC Desk Officer, FAX: 202–395–6974,                 Commission to: (1) examine and assess
                                                purpose of these notices is to give interested          or emailed to oira_submission@                        the effectiveness of voluntary consumer
                                                persons an opportunity to participate in the            omb.eop.gov.                                          product safety standards for durable
                                                rule making prior to the adoption of the final
                                                                                                           Other comments, identified by Docket               infant or toddler products, in
                                                rules.
                                                                                                        No. CPSC–2015–0031, may be                            consultation with representatives of
                                                                                                        submitted electronically or in writing:               consumer groups, juvenile product
                                                CONSUMER PRODUCT SAFETY                                    Electronic Submissions: Submit                     manufacturers, and independent child
                                                COMMISSION                                              electronic comments to the Federal                    product engineers and experts; and (2)
                                                                                                        eRulemaking Portal at: http://                        promulgate consumer product safety
                                                16 CFR Parts 1112 and 1231                              www.regulations.gov. Follow the                       standards for durable infant or toddler
                                                                                                        instructions for submitting comments.                 products. Any standard the Commission
                                                [Docket No. CPSC–2015–0031]
                                                                                                        The Commission does not accept                        adopts under this directive must be
                                                Safety Standard for High Chairs                         comments submitted by electronic mail                 substantially the same as the applicable
                                                                                                        (email), except through                               voluntary standard or more stringent
                                                AGENCY: Consumer Product Safety                         www.regulations.gov. The Commission                   than the voluntary standard if the
                                                Commission.                                             encourages you to submit electronic                   Commission determines that more
                                                ACTION: Notice of proposed rulemaking.                  comments by using the Federal                         stringent requirements would further
                                                                                                        eRulemaking Portal, as described above.               reduce the risk of injury associated with
                                                SUMMARY:    The Danny Keysar Child                         Written Submissions: Submit written                the product.
                                                Product Safety Notification Act, section                comments by mail/hand delivery/                          The term ‘‘durable infant or toddler
                                                104(b) of the Consumer Product Safety                   courier to: Office of the Secretary,                  product’’ is defined in section 104(f)(1)
                                                Improvement Act of 2008 (‘‘CPSIA’’;                     Consumer Product Safety Commission,                   of the CPSIA as ‘‘a durable product
                                                Pub. L. 110–314, 122 Stat. 3016),                       Room 820, 4330 East West Highway,                     intended for use, or that may be
                                                requires the United States Consumer                     Bethesda, MD 20814; telephone (301)                   reasonably expected to be used, by
                                                Product Safety Commission                               504–7923.                                             children under the age of 5 years.’’
                                                (‘‘Commission’’ or ‘‘CPSC’’) to                            Instructions: All submissions received             Section 104(f)(2)(C) of the CPSIA
                                                promulgate consumer product safety                      must include the agency name and                      specifically identifies high chairs as a
                                                standards for durable infant or toddler                 docket number for this proposed                       durable infant or toddler product.
                                                products. These standards must be                       rulemaking. All comments received may                    Pursuant to section 104(b)(1)(A) of the
                                                substantially the same as applicable                    be posted without change, including                   CPSIA, the Commission consulted with
                                                voluntary standards or more stringent                   any personal identifiers, contact                     representatives of manufacturers,
                                                than the voluntary standard if the                      information, or other personal                        consumer groups, consultants, retailers,
                                                Commission determines that more                         information provided, to: http://                     industry trade groups, and government
                                                stringent requirements would further                    www.regulations.gov. Do not submit                    agencies in reviewing and assessing the
                                                reduce the risk of injury associated with               confidential business information, trade              effectiveness of the existing voluntary
                                                a product. In response to the direction                 secret information, or other sensitive or             standard for high chairs, ASTM F404–
                                                under section 104(b) of the CPSIA, the                  protected information that you do not                 15, largely through ASTM
                                                Commission is proposing a safety                        want to be available to the public. If                International’s (‘‘ASTM’’; formerly the
                                                standard for high chairs. The proposed                  furnished at all, such information                    American Society for Testing and
                                                rule would incorporate by reference                     should be submitted by mail/hand                      Materials) standard-development
                                                ASTM F404–15, Standard Consumer                         delivery/courier.                                     process. The standard the Commission
                                                Safety Specification for High Chairs                       Docket: For access to the docket to                is proposing in this notice of proposed
                                                (‘‘ASTM F404–15’’) into our new                         read background documents or                          rulemaking (‘‘NPR’’) is based on ASTM
                                                regulation and impose more stringent                    comments received, go to: http://                     F404–15 with more stringent
                                                requirements for rearward stability and                 www.regulations.gov, and insert the                   requirements for rearward stability and
                                                warnings on labels and in instructional                 docket number, CPSC–2015–0031, into                   warnings in labels and instructional
                                                literature. In addition, the Commission                 the ‘‘Search’’ box, and follow the                    literature.
                                                proposes to amend our regulations to                    prompts.                                                 The testing and certification
                                                include the newly proposed high chair
                                                                                                        FOR FURTHER INFORMATION CONTACT:                      requirements of section 14(a) of the
                                                standard in the list of notice of
                                                                                                        Stefanie C. Marques, Project Manager,                 Consumer Product Safety Act (‘‘CPSA’’;
                                                requirements (‘‘NORs’’) issued by the
                                                                                                        Directorate for Health Sciences, U.S.                 15 U.S.C. 2051–2089) apply to the
                                                Commission.
                                                                                                        Consumer Product Safety Commission,                   standards promulgated under section
                                                DATES: Submit comments by January 25,
tkelley on DSK3SPTVN1PROD with PROPOSALS




                                                                                                        5 Research Place, Rockville, MD 20850;                104 of the CPSIA. Section 14(a)(3) of the
                                                2016.                                                   telephone: 301–987–2581; email:                       CPSA requires the Commission to
                                                ADDRESSES: Comments related to the                      smarques@cpsc.gov.                                    publish an NOR for the accreditation of
                                                Paperwork Reduction Act aspects of the                  SUPPLEMENTARY INFORMATION:                            third party conformity assessment
                                                labeling and instructional literature                                                                         bodies (i.e., test laboratories) to assess
                                                requirements of the proposed                            I. Background and Statutory Authority                 whether a children’s product conforms
                                                mandatory standard for high chairs                         The CPSIA was enacted on August 14,                to applicable children’s product safety
                                                should be directed to the Office of                     2008. Section 104(b) of the CPSIA, part               rules. If adopted, the proposed rule for


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                                                                              Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                                                              69145

                                                high chairs would be a children’s                                           shoulder harnesses. High chair designs                                   III. Incident Data
                                                product safety rule that requires the                                       include restaurant-style chairs, four-                                      The Commission receives data
                                                issuance of an NOR. For this reason, this                                   legged A-frame styles, single-leg                                        regarding product-related injuries from
                                                NPR also proposes to amend 16 CFR                                           pedestals, and Z-frame styles.                                           several sources. One such source is the
                                                part 1112 to include proposed 16 CFR                                        Restaurant-style high chairs are                                         National Electronic Injury Surveillance
                                                part 1231, the section in which the high                                    discussed further in section VII. of this                                System (‘‘NEISS’’), from which CPSC
                                                chair standard would be codified.                                           preamble.                                                                can estimate the number of injuries
                                                II. The Product                                                             B. Market Description                                                    associated with specific consumer
                                                                                                                                                                                                     products that are treated in U.S. hospital
                                                A. Definition                                                                                                                                        emergency departments (‘‘EDs’’)
                                                                                                                              In 2013, the CPSC conducted a
                                                   ASTM F404–15 defines a ‘‘high chair’’                                    Durable Nursery Product Exposure                                         nationwide, based on a probability
                                                as ‘‘a free standing chair for a child up                                   Survey (‘‘DNPES’’) of U.S. households                                    sample. Other sources include reports
                                                to 3 years of age which has a seating                                       with children under the age of 6. Data                                   from consumers and others through the
                                                surface more than 15 in. above the floor                                    from DNPES indicate that there are                                       Consumer Product Safety Risk
                                                and elevates the child normally for the                                     approximately 9.74 million high chairs                                   Management System (which also
                                                purposes of feeding or eating.’’ The                                        in U.S. households with children under                                   includes some NEISS data) and reports
                                                ASTM standard further specifies that a                                      the age of 6 and about 7.14 million high                                 from retailers and manufacturers
                                                high chair may be sold with or without                                                                                                               through CPSC’s Retailer Reporting
                                                                                                                            chairs actually in use in those
                                                a tray, have adjustable heights, and                                                                                                                 System (collectively referred to as
                                                                                                                            households. High chairs range in price
                                                recline for infants.                                                                                                                                 Consumer Product Safety Risk
                                                                                                                            from $35 to $650.
                                                   There are various designs and                                                                                                                     Management System data (‘‘CPSRMS’’)).
                                                construction materials for high chairs.                                       Staff identified 62 firms supplying                                       Through CPSRMS sources, the
                                                Typical high chairs consist of a plastic,                                   high chairs to the U.S. market. Fifty-one                                Commission has received 1,296 reports
                                                wood, or metal frame, often with a                                          of these are domestic, including 27                                      of incidents related to high chairs that
                                                padded fabric seat. Some models fold                                        manufacturers, 19 importers, and five                                    occurred between January 1, 2011 and
                                                for storage and transport or convert for                                    wholesalers. The remaining 11 firms are                                  December 31, 2014. Because several of
                                                continued use as a child grows. Some                                        foreign, including nine manufacturers,                                   these reports include more than one
                                                high chairs include a removable snack                                       one importer, and one retailer. Of these                                 incident or issue, the total number of
                                                tray or mounted toy accessories and                                         62 firms, 48 market their high chairs to                                 incidents is 1,308. These reports include
                                                some have no trays. High chairs may                                         consumers. The remaining 14 firms                                        one fatality and 138 injuries; for the
                                                have a passive crotch restraint (i.e., two                                  market their high chairs for use in                                      remaining incidents, no injury occurred,
                                                separate bounded openings for the                                           commercial settings, primarily in                                        or no injury was reported. Table 1
                                                occupant’s legs), a rigid front torso                                       restaurants, but these products generally                                provides the number of incidents,
                                                support, a three-point restraint system,                                    also are available to consumers.                                         injuries, and fatalities by year for 2011
                                                or a five-point restraint system with                                                                                                                to 2014.
                                                 TABLE 1—CPSRMS INCIDENT REPORTS INVOLVING HIGH CHAIRS BETWEEN JANUARY 1, 2011 AND DECEMBER 31, 2014
                                                                                                              Incident year                                                                           Total            Injuries         Fatalities

                                                2011 .............................................................................................................................................            276                 44                 0
                                                2012 * ...........................................................................................................................................            360                 51                 0
                                                2013 * ...........................................................................................................................................            491                 28                 0
                                                2014 * ...........................................................................................................................................            169                 15                 1

                                                      Total ......................................................................................................................................        1,296                   138                1
                                                   Source: CPSC’s Consumer Product Safety Risk Management System
                                                   * data collection is ongoing


                                                   Of the 1,296 reports CPSC received                                       A. Fatalities                                                            lacerated finger. There were no severe
                                                from CPSRMS sources, 923 provided the                                                                                                                injuries, and the remaining injuries
                                                age of the child involved. For incidents                                      The Commission received a report in                                    primarily resulted in contusions,
                                                in which age was reported, the majority                                     2014 of one fatality associated with a                                   abrasions, and lacerations. Many of the
                                                involved children between 7 and 18                                          high chair. Apart from indicating that
                                                                                                                                                                                                     incident descriptions in the remaining
                                                                                                                            the high chair involved had broken, the
                                                months old.                                                                                                                                          1,157 reports that did not state that an
                                                                                                                            report provided little information about
                                                   EDs participating in NEISS reported                                                                                                               injury had occurred, nevertheless,
                                                                                                                            the decedent or the circumstances of the
                                                1,078 injuries and no deaths related to                                     incident. The Commission has been                                        indicated the potential for injury.
                                                high chairs between January 1, 2011 and                                     unable to obtain additional information                                    For injuries reported through NEISS,
                                                December 31, 2014. Extrapolating from                                       regarding this incident.                                                 94 percent were treated and released.
                                                this probability sample, there were                                                                                                                  The most commonly injured body parts
tkelley on DSK3SPTVN1PROD with PROPOSALS




                                                                                                                            B. Nonfatal Injuries
                                                approximately 31,300 injuries and no                                                                                                                 were the head (65 percent) and face (17
                                                fatalities related to high chairs treated in                                  Of the 138 CPSRMS injuries related to                                  percent). The most common types of
                                                EDs between January 1, 2011 and                                             high chairs that occurred between 2011                                   injuries were injuries to internal organs
                                                December 31, 2014. Approximately 75                                         and 2014, three resulted in moderate                                     (48 percent), contusions and abrasions
                                                percent of injuries reported through                                        injuries treated in EDs. These injuries                                  (22 percent), and lacerations (11
                                                NEISS involved children between 7 and                                       included a puncture wound to the                                         percent). In 1,540 of the estimated
                                                23 months old.                                                              forehead, a broken collarbone, and a                                     31,300 injuries treated in U.S. EDs,


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                                                69146                          Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                severe head injuries, such as fractured                                      several hazard patterns associated with                                    and less than 1 percent fell into other
                                                skulls and concussions, occurred.                                            high chairs in reviewing the 1,308                                         categories, including consumer
                                                C. Hazard Pattern Identification                                             CPSRMS incidents. Approximately 96                                         observations and incidents in which
                                                                                                                             percent of the 1,308 incidents involved                                    reports provided insufficient
                                                  CPSC staff reviewed NEISS and                                              issues with specific components of the                                     information to identify a hazard pattern
                                                CPSRMS data to identify hazard                                               high chair, including the frame, seat,                                     (i.e., undetermined). Staff was unable to
                                                patterns associated with high chairs.
                                                                                                                             restraint system, armrest, tray, toy                                       identify the hazard pattern for the one
                                                Because CPSRMS data sources generally
                                                                                                                             accessories, wheels, footrest, and other                                   fatality because there was insufficient
                                                provide greater detail about incidents,
                                                staff was able to identify more distinct                                     features. Approximately 4 percent                                          information in the report. Table 2
                                                hazard patterns using this data than                                         involved general problems with the high                                    provides the frequency of each hazard
                                                NEISS data. CPSC staff identified                                            chair, including the design and stability,                                 pattern and category.

                                                      TABLE 2—HAZARD PATTERNS FOR CPSRMS INCIDENTS INVOLVING HIGH CHAIRS BETWEEN JANUARY 1, 2011 AND
                                                                                          DECEMBER 31, 2014
                                                                                                             Hazard pattern                                                                           Total incidents    Injuries         Fatalities

                                                Frame ...........................................................................................................................................                650                20                 0
                                                Seat ..............................................................................................................................................              205                41                 0
                                                Restraint System .........................................................................................................................                       139                12                 0
                                                Armrest ........................................................................................................................................                  81                 2                 0
                                                Tray ..............................................................................................................................................               75                33                 0
                                                Toy Accessories ..........................................................................................................................                        70                 1                 0
                                                Wheels .........................................................................................................................................                  21                 1                 0
                                                Footrest ........................................................................................................................................                 14                 0                 0
                                                Miscellaneous Issues ...................................................................................................................                           8                 1                 0
                                                Design ..........................................................................................................................................                 22                13                 0
                                                Stability ........................................................................................................................................                16                12                 0
                                                Consumer Observations ..............................................................................................................                               3                 0                 0
                                                Undetermined ..............................................................................................................................                        4                 2                 1

                                                       Total ......................................................................................................................................            1,308                138                1



                                                   Issues with frames account for the                                        toes becoming entrapped in spaces or                                       from a high chair. Fall incidents are
                                                greatest number of incidents. Examples                                       openings. In two separate incidents,                                       particularly evident in the stability,
                                                of these incidents include broken                                            children were entrapped by the neck in                                     restraint system, tray, and frame hazard
                                                frames, legs, seat supports, and loose                                       the seatback opening and leg opening of                                    patterns. Falls often occurred when
                                                screws. Issues with seats are associated                                     high chairs. Examples of incidents                                         these features fail or the restraint system
                                                with the greatest number of injuries.                                        involving stability issues include a high                                  is not used properly. Fall incidents have
                                                Examples of these incidents include                                          chair actually or nearly tipping over.                                     the potential to result in serious
                                                torn, cracked, or peeling seat pads and                                         CPSC identified two additional                                          injuries, including severe head injuries,
                                                seat-reclining issues. Examples of                                           categories that do not represent                                           which can cause brain damage and
                                                restraint system incidents include                                           particular hazard patterns. First, several                                 impact a child’s development and
                                                broken buckles and prongs, jamming,                                          incident reports included consumer                                         cognitive skills. Of the 1,308 CPSRMS
                                                easy release, torn or fraying straps,                                        observations that did not indicate an                                      incidents, 79 fall incidents showed the
                                                pinching, and ineffective restraints.                                        incident with a high chair had occurred.                                   potential for serious injuries, and in
                                                Examples of issues with armrests                                             Examples of these include perceived                                        many of these incidents, the child
                                                include cracking or breaking. Examples                                       safety hazards and unauthorized sales of                                   sustained a head injury. Of the 31,300
                                                of tray incidents include trays failing to                                   recalled high chairs. Second, several                                      estimated NEISS incidents, 1,540
                                                lock or remain locked, trays releasing                                       reports, including a fatality report,                                      resulted in severe head injuries.
                                                too easily, difficulty releasing trays, and                                  provided insufficient information for
                                                                                                                                                                                                        D. Product Recalls
                                                pinching. Examples of toy accessory                                          CPSC to determine the circumstances or
                                                incidents include cracked or broken toy                                      cause of the incident.                                                       Since January 1, 2010, there have
                                                accessories. Examples of incidents                                              One issue that relates to several of                                    been 10 recalls of high chairs involving
                                                involving wheels include broken or                                           these hazard patterns is prevalent in                                      eight firms. The recalled high chairs
                                                loose wheels or wheels not locking.                                          both NEISS and CPSRMS incidents—                                           were responsible for a total of 72
                                                Examples of footrest incidents include                                       namely, falls from high chairs. Many of                                    injuries, including 44 injuries involving
                                                cracked or broken footrests. Examples of                                     the incidents reported through NEISS                                       bumps and bruises, 11 lacerations
                                                other miscellaneous issues include                                           and CPSRMS sources involved children                                       requiring medical closure (stitches, tape,
                                                unclear assembly instructions, excessive                                     falling from high chairs. Within NEISS                                     or glue), one scratched cornea, and one
                                                lead content in paint, finish coming off,                                                                                                               hairline fracture to the arm. These
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                                                                                                                             data, 78 percent of incidents involved
                                                poor construction quality, and loose                                         falls but did not specify the cause, and                                   injuries were primarily due to falls from
                                                hardware.                                                                    an additional 18 percent involved                                          the high chair.
                                                   General issues with the design and                                        mainly falls that occurred when a
                                                                                                                                                                                                        IV. International Standards for High
                                                stability of high chairs also contributed                                    component of a high chair failed, a high
                                                                                                                                                                                                        Chairs
                                                to incidents and injuries. Examples of                                       chair tipped over, or a child climbed in
                                                incidents related to design issues                                           or out of a high chair. Many of the                                          CPSC is aware of four international
                                                include children’s limbs, fingers, and                                       CPSRMS incidents also involved falls                                       standards that apply to high chairs:


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                                                                     Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                             69147

                                                   • ASTM F404–15;                                      installation, and restraint anchor                    specified force. The purpose of this
                                                   • EN 14988: 2006, Children's High                    integrity. ASTM approved the current                  requirement is to test whether frontal
                                                ChairsÐSafety Requirements and Test                     version, ASTM F404–15, on May 15,                     support can withstand kicking or
                                                Methods (‘‘European standard’’);                        2015.                                                 pulling.
                                                   • AS 4684–2009, High ChairsÐSafety                                                                            d. Static Load: A high chair must
                                                                                                        B. Description of ASTM F404–15
                                                Requirements (‘‘Australian standard’’);                                                                       support specified weights on the seat,
                                                and                                                       CPSC staff, together with stakeholders              tray, step, and footrest. The purpose of
                                                   • ISO 9221: 1992, FurnitureÐ                         on the ASTM subcommittee task group                   this requirement is to test whether the
                                                Children's High Chairs (‘‘ISO                           for high chairs, developed modified and               high chair seat and step can support
                                                standard’’).                                            new requirements for ASTM F404–15 to                  more than the weight of a child and
                                                   CPSC staff reviewed the provisions in                address the hazards associated with                   whether the tray can withstand
                                                these four standards and believes that                  high chairs. ASTM F404–15 includes                    overloading.
                                                ASTM F404–15 best addresses the                         the following key provisions: scope,                     e. Stability: A high chair must not tip
                                                hazard patterns indicated in the                        terminology, calibration and                          over when pulled forward, backward, or
                                                incident data CPSC has received. In                     standardization, general requirements,                sideways by a specified force. The
                                                most areas, ASTM F404–15 includes                       performance requirements, test                        purpose of this requirement is to test the
                                                more stringent requirements than the                    methods, labeling and warnings, and                   high chair’s resistance to falling over if
                                                other three international standards. For                instructional literature. The following               an occupant leans forward, pushes off a
                                                example, to test forward stability, the                 provides an overview of these                         nearby surface, or the high chair is
                                                European standard requires testing with                 provisions; to view the complete                      otherwise pushed.
                                                an 11-pound load and 5.6 foot-pound                     standard, see the instructions in section                f. Exposed Coil Springs: Any exposed
                                                force, while ASTM F404–15 requires                      X. of this preamble.                                  coil springs that reach a specified
                                                testing with a 40-pound load and 14                     1. Scope                                              distance from each other during static
                                                foot-pound force, making it the more                                                                          load testing must be designed to prevent
                                                stringent standard.                                       This section states the scope and
                                                                                                                                                              pinching or entrapment.
                                                   In reviewing the provisions in which                 intent of the standard.
                                                                                                                                                                 g. Scissoring, Shearing, and Pinching:
                                                one of the other international standards                2. Terminology                                        Each accessible point at which
                                                includes more stringent requirements                                                                          components move (e.g., fastening
                                                than ASTM F404–15, CPSC found that                        This section provides definitions of
                                                                                                        terms specific to the standard.                       points, pivots) must admit a probe with
                                                incident data do not indicate that the                                                                        a specified diameter. The purpose of
                                                more stringent standard is necessary to                 3. Calibration and Standardization                    this requirement is to prevent
                                                reduce the risk of injury, and the                                                                            scissoring, shearing, and pinching of an
                                                requirements in ASTM F404–15 are                          This section provides general
                                                                                                        instructions for conducting tests.                    occupant.
                                                sufficient. For example, the European                                                                            h. Restraint System: The standard
                                                standard has height requirements for the                4. General Requirements                               requires an active restraint system, such
                                                sides of high chairs, while ASTM F404–                                                                        as a belt, to secure a child in the high
                                                                                                          This section includes general
                                                15 does not. However, incident data do                                                                        chair. The restraint system must include
                                                                                                        requirements regarding various issues,
                                                not indicate that side height is a factor                                                                     waist and crotch restraints. In addition,
                                                                                                        such as components of a high chair,
                                                in fall hazard patterns. Similarly, the                                                                       the restraints must withstand upward
                                                                                                        conversion kits, accessories, threaded
                                                Australian standard requires castors or                                                                       and downward force tests as well as
                                                                                                        fasteners, sharp edges and points, small
                                                gliders to be in specific configurations,                                                                     testing to pull on restraint system
                                                                                                        parts, wood parts, latching or locking
                                                and the ISO standard only allows                                                                              attachments. The purpose of these
                                                                                                        mechanisms, labels, openings, toy
                                                castors for convertible high chairs,                                                                          requirements is to ensure that the
                                                                                                        components, and lead in paint.
                                                while ASTM F404–15 has no                                                                                     restraint system and its closing means
                                                requirements for castors. However,                      5. Performance Requirements and Test                  remain anchored and functional under
                                                incident data do not indicate that                      Methods                                               various forces.
                                                castors are a common cause of injury.                     These sections contain performance                     i. Completely-Bounded Openings:
                                                   Based on these comparisons, CPSC
                                                                                                        requirements and associated test                      This section requires high chairs with
                                                believes that ASTM F404–15 is, in
                                                                                                        methods for high chairs. The following                completely-bounded openings in front
                                                general, a more stringent standard than
                                                                                                        summarizes key requirements in these                  of the occupant to have a passive crotch
                                                the other three international standards
                                                                                                        sections.                                             restraint with specified maximum sizes
                                                and is better tailored to address the
                                                                                                          a. Protective Components: These                     for gaps and openings. The crotch
                                                hazard patterns shown in the incident
                                                                                                        requirements provide for testing                      restraint must be installed or tethered in
                                                data.
                                                                                                        protective components such as caps and                place to prevent consumers from mis-
                                                V. ASTM F404–15                                         plugs.                                                installing or not installing it and tethers
                                                                                                          b. Tray or Front Torso Support—Drop                 must withstand specified forces. The
                                                A. History of ASTM F404–15                              Test: Each removable tray and front                   purpose of these provisions is to reduce
                                                   ASTM first approved and published a                  torso support must be dropped from a                  the likelihood of injury or death from an
                                                standard for high chairs in 1975, as                    specified height in multiple                          occupant sliding through and being
                                                ASTM F404–75, Standard Consumer                         orientations. The purpose of this                     entrapped in an opening.
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                                                Safety Specification for High Chairs.                   requirement is to test whether high                      j. Structural Integrity: A high chair
                                                ASTM has revised the voluntary                          chair components continue to function                 must withstand dynamic cycle testing,
                                                standard many times since then, adding                  or exhibit mechanical hazards (e.g.,                  involving repeated drops of a weight on
                                                and modifying requirements. Some of                     sharp edges) after the drop test.                     the seat, without any structural
                                                the more substantial additions over the                   c. Tray or Front Torso Support—Pull                 components breaking or the seat height
                                                past 5 years include requirements for                   Tests: The tray or front torso support                or angle changing beyond a set limit.
                                                tray-release mechanisms, visibility and                 must be pulled multiple times from                    The purpose of this requirement is to
                                                permanency of labels, restraint system                  multiple sides and directions with a                  test whether the high chair can


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                                                69148                Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                withstand the dynamic loads to which                    F404–15 would further reduce the risk                 Nearly 60 percent of seat issues
                                                it will be subjected.                                   of injury associated with high chairs                 involved a single manufacturer’s seat
                                                   k. Tray Latch Release Mechanisms:                    regarding rearward stability and                      pads cracking or peeling after multiple
                                                The standard includes requirements for                  warnings on labels and in instructional               washings. Eighty-three percent of seat-
                                                tray latches to prevent unintentional or                literature. Consequently, CPSC proposes               related injuries involved cracked or
                                                accidental release. These requirements                  additional requirements for those areas.              peeling seat pads scratching occupants’
                                                include specific types and placements                      This section provides CPSC’s                       legs.
                                                for latch release mechanisms and testing                assessments of how ASTM F404–15                          ASTM F404–15 contains two
                                                to ensure they can withstand a specified                addresses the hazard patterns in the                  requirements that address the integrity
                                                force. The purpose of these                             incident data. In its analysis, CPSC                  of structural components of a high chair,
                                                requirements is to address incidents in                 identified broad categories into which                including the seat. These are the static
                                                which occupants fell from high chairs                   the incidents fall. One category is                   load test and drop test. General
                                                that had passive restraints integrated                  components of high chairs, including                  requirements, such as those regarding
                                                into the tray.                                          issues with frames, seats, restraint                  sharp points and small parts, also
                                                   l. Side Containment: Any completely-                 systems, armrests, trays, toy accessories,            address the risk of laceration or choking
                                                bounded openings on the sides of the                    wheels, footrests, and miscellaneous                  on pieces that detach from the seat.
                                                seat must meet specified maximum                        issues. Another category is general                   CPSC believes that ASTM F404–15
                                                dimensions for gaps and openings. The                   problems with high chairs, including                  effectively addresses the hazards
                                                purpose of this requirement is to reduce                design and stability issues. And the                  associated with high chair seats.
                                                the likelihood of injury or death from an               final category includes incidents that
                                                                                                                                                              C. Restraint System
                                                occupant sliding through and being                      did not clearly fall within any of the
                                                entrapped in an opening.                                above groupings—these are listed below                   There were 139 incidents involving
                                                   m. Protrusions: Projections must meet                as consumer observations and                          the restraint system of a high chair,
                                                certain dimensional requirements if                     undetermined. This section discusses                  resulting in 12 injuries. These issues
                                                they are located on the outside of high                 each of these hazard patterns, in                     generally fall into two categories—
                                                chair legs at a height a toddler is                     descending order of frequency of                      restraint systems that failed and unused
                                                susceptible to falling into. The purpose                incidents within each of the three                    restraint systems.
                                                of this requirement is to address the                   categories (see Table 2, above). Section                 Within the first category, incidents
                                                incidents in which children outside of                  VIII. discusses the additional                        included buckles breaking or separating
                                                high chairs sustained injuries from                     requirements that CPSC proposes for                   from straps, straps tearing or pulling out
                                                falling into tray storage hooks or other                rearward stability and warnings.                      of anchor points, and other issues. To
                                                protrusions.                                                                                                  address these issues, ASTM F404–15
                                                                                                        A. Frame                                              requires all high chairs to be shipped
                                                   n. Locking Mechanisms: Locking
                                                mechanisms must be able to withstand                       There were 650 CPSRMS incidents                    with two types of restraint systems—a
                                                a specified force.                                      involving the frame of a high chair,                  pre-attached ‘‘active’’ crotch and waist
                                                   o. Permanency of Labels and                          resulting in a total of 20 injuries.                  belt restraint system and a ‘‘passive’’
                                                Warnings: This section specifies testing                Common incidents included cracked                     crotch restraint—that have undergone
                                                and criteria for determining the                        frames or height adjustors, loose screws,             testing to ensure they work as intended.
                                                permanency of labels.                                   and buckling legs. More than 80 percent               ASTM F404–15 also requires the
                                                                                                        of frame-related incidents involved                   restraint anchors to withstand a pull
                                                6. Labeling and Warnings                                cracked components on two similar                     test. CPSC believes that ASTM F404–15
                                                   This section contains various                        high chair models from one                            effectively addresses the hazard pattern
                                                requirements related to warnings and                    manufacturer and resulted in only a few               associated with restraint system failures.
                                                labels, including content, format, and                  minor injuries.                                          As for the second category, unused
                                                prominence requirements.                                   ASTM F404–15 contains two separate                 restraint systems, CPSC believes that a
                                                                                                        requirements intended to provide                      more stringent standard for labels and
                                                7. Instructional Literature                             structural integrity to high chair                    instructional literature than ASTM
                                                   This section requires that instructions              frames—a static load test and a drop                  F404–15 would further reduce the risk
                                                be provided with high chairs and be                     test. Several general requirements also               of injuries associated with this issue.
                                                easy to read and understand. The                        address the hazards associated with                   CPSRMS and NEISS data indicate that,
                                                instructions must comply with content,                  frame failures, such as the requirements              in many incidents, caregivers did not
                                                format, and prominence requirements.                    regarding the use of certain screws for               use the restraint system. CPSC believes
                                                                                                        key structural elements to provide for                more effective warnings would increase
                                                VI. Assessment of ASTM F404–15                                                                                consumer use of restraint systems and
                                                                                                        proper installation and durability over
                                                  CPSC considered the fatalities,                       time. Since frame-related incidents are               reduce these incidents.
                                                injuries, and non-injury incidents                      not an industry-wide problem, CPSC                       CPSC’s review of CPSRMS data
                                                associated with high chairs that                        believes that the ASTM F404–15                        revealed that of the 1,308 incidents
                                                occurred between January 1, 2011 and                    requirements for structural integrity,                involving high chairs, there were
                                                December 31, 2014, and staff evaluated                  load tests, and fasteners effectively                 numerous cases in which the caregiver
                                                ASTM F404–15 to determine whether                       address the safety hazards related to                 did not use the high chair restraints,
                                                the voluntary standard addresses these                  high chair frames.                                    resulting in the child falling or nearly
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                                                hazards or whether more stringent                                                                             falling from the high chair. Although
                                                standards would reduce the risk of                      B. Seat                                               many incident reports have limited
                                                injury associated with high chairs. CPSC                   There were a total of 205 incidents                detail, CPSC noted that several
                                                believes that ASTM F404–15 effectively                  involving the seat of a high chair,                   incidents involved a child falling from
                                                addresses the hazards indicated in the                  resulting in 41 injuries. Seat-related                a high chair when the tray disengaged,
                                                incident data, with the exception of two                issues include cracked or peeling seat                suggesting the tray was used as the sole
                                                areas. CPSC believes that more stringent                pads, broken seat reclining hardware,                 restraint. Several reports also indicated
                                                requirements than those in ASTM                         seat backs detaching, and loose screws.               that a caregiver’s attention was


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                                                                     Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                             69149

                                                elsewhere when the incident occurred.                   D. Armrest                                            G. Wheels
                                                And several other reports suggested that                   Eighty-one high chair incidents                      Wheels were involved in 21 high
                                                the restraint system was ineffective at                 involved armrests and resulted in two                 chair incidents, resulting in one injury.
                                                restraining the child or was used                       injuries. Many of the reports indicate                Common incidents involved wheels
                                                improperly.                                             armrests broke as users removed the                   becoming loose, breaking, or not
                                                   CPSC’s review of NEISS data revealed                 tray. All but one of the armrest incidents            locking. All but two of these incident
                                                a similar pattern. The vast majority of                 involved a single high chair model.                   reports cited cracked or broken
                                                NEISS incidents involved falls, which                      ASTM F404–15 includes several                      components of high chairs from one
                                                suggests that restraints were unused or                 performance tests that address this                   manufacturer and almost all of these
                                                ineffective. Although NEISS data                        hazard. For example, the static load and              were the same model. In the single
                                                provide limited details, many reports                   pull tests for trays also evaluate the                incident that resulted in an injury, the
                                                state that the child was not restrained or              durability of armrests because trays are              wheel was only a minor contributing
                                                that the restraint had just been removed                typically attached to armrests. CPSC                  factor.
                                                when the incident occurred. In some                     believes that ASTM F404–15 effectively                  ASTM F404–15 evaluates wheel
                                                                                                        addresses the armrest hazard pattern.                 durability through a static load test and
                                                cases, the incident happened when a
                                                                                                        The incident reports indicate this is not             drop test. CPSC believes that ASTM
                                                caregiver turned away from the child,
                                                                                                        an industry-wide problem; there were                  F404–15 effectively addresses this
                                                and some reports stated the child was
                                                                                                        only a small number of minor injuries                 hazard pattern, as wheel issues do not
                                                strapped in before the fall, suggesting                                                                       appear to be an industry-wide hazard
                                                the restraint fit poorly or was not                     associated with armrests, and ASTM
                                                                                                        F404–15 includes tests for armrest                    pattern, do not contribute to a
                                                adjusted properly.                                                                                            substantial number of injuries, and
                                                                                                        durability.
                                                   CPSC believes that the requirements                                                                        ASTM F404–15 contains provisions that
                                                in ASTM F404–15 do not adequately                       E. Tray                                               evaluate wheel integrity.
                                                address the risk of injury associated                      A total of 75 high chair incidents                 H. Footrests
                                                with unused or improperly used                          involved trays and resulted in 33
                                                restraint systems. ASTM F404–15                                                                                 Fourteen high chair incidents
                                                                                                        injuries. Common tray incidents
                                                includes three types of requirements                                                                          involved footrests and resulted in no
                                                                                                        included pinching, and in addition, falls
                                                relevant to this hazard. First, the                                                                           injuries. All of the incident reports cited
                                                                                                        that occurred when trays unexpectedly
                                                standard requires the passive crotch                                                                          footrests cracking on a single high chair
                                                                                                        detached or released too easily.
                                                restraint to arrive attached or tethered to                                                                   model.
                                                                                                           ASTM F404–15 contains several                        ASTM F404–15 includes a static load
                                                its manufacturer’s recommended use                      performance requirements that address                 test to evaluate the durability of
                                                position to reduce the chances that the                 tray incidents, including pull tests, a               footrests. CPSC believes that ASTM
                                                restraint is not installed before use.                  static load test, and specific tray-                  F404–15 effectively addresses this
                                                Second, section 8 of ASTM F404–15                       latching requirements. Provisions on                  hazard pattern, as this is not an
                                                requires warnings about the risk of                     tray latch accessibility and latch                    industry-wide issue, and ASTM F404–
                                                serious injury or death from falling or                 actuation that ASTM adopted in 2007                   15 includes requirements for footrest
                                                sliding out of a high chair, instructions               and 2010 have been effective at                       durability.
                                                to use the restraint system, and a                      reducing tray-related incidents, as data
                                                warning never to leave a child                          show a decline in incidents for models                I. Miscellaneous Issues
                                                unattended. Some of these warnings                      manufactured after those revisions.                      High chair incident reports included
                                                must be visible to a person standing                    General requirements, such as those for               various additional issues, such as paint
                                                near the high chair at any one position                 sharp edges and scissoring, shearing,                 with excessive lead content, cracked
                                                when a child is in the high chair, but                  and pinching, also address these                      wood finish, loose screws, and assembly
                                                not necessarily visible from all                        hazards. CPSC believes that ASTM                      problems. Eight high chair incident
                                                positions. Other warnings must be                       F404–15 effectively addresses the tray                reports cited these miscellaneous issues
                                                visible to a caregiver while placing a                  hazard pattern.                                       and resulted in one injury.
                                                child in the high chair, but not                        F. Toy Accessories                                       ASTM F404–15 contains several
                                                necessarily visible when the child is in                                                                      requirements that address these various
                                                the high chair. Third, section 9 of ASTM                   Toy accessories were involved in 70                issues, such as issues with screws on
                                                F404–15 specifies that instructional                    high chair incidents, resulting in one                consumer-assembled structural
                                                literature provided with a high chair                   injury. These reports indicate toy                    components, sharp edges, small parts,
                                                must include the same warning                           accessories cracked or broke.                         exposed wood, and compliance with 16
                                                statements that are on the high chair;                     ASTM F404–15 includes                              CFR part 1303 (banning lead-containing
                                                state that only children capable of                     requirements for toy accessory                        paint). ASTM F404–15 also includes
                                                                                                        durability, requiring manufacturers to                requirements for instructional literature,
                                                sitting upright unassisted should use a
                                                                                                        attach toy accessories to the high chair              intended to provide clear assembly
                                                high chair; advise consumers to use the
                                                                                                        for testing, including tray drop testing              instructions. CPSC believes that ASTM
                                                restraint system; and inform consumers
                                                                                                        and load cycle testing. CPSC believes                 F404–15 effectively addresses these
                                                that the tray is not a restraint system.
                                                                                                        ASTM F404–15 effectively addresses                    issues.
                                                   CPSC believes that more stringent                    the toy accessory hazard pattern. CPSC
                                                content, form, and placement                                                                                  J. Design
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                                                                                                        expects the toy durability requirements
                                                requirements for warnings than ASTM                     in ASTM F404–15, as well as the                          Design issues were involved in 22
                                                F404–15’s would further reduce the risk                 general requirement in ASTM F404–15                   high chair incidents, resulting in 13
                                                of injury associated with unused                        calling for compliance with ASTM’s toy                injuries. Incident reports relating to the
                                                restraint systems. Section VIII. discusses              standard, ASTM F963, Standard                         design of a high chair primarily cited
                                                CPSC’s proposed labeling and                            Consumer Safety Specification for Toy                 designs that create entrapment hazards.
                                                instructional literature requirements in                Safety, to reduce hazards related to                  These hazards commonly resulted in
                                                greater detail.                                         cracked or broken toy accessories.                    children’s arms being entrapped


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                                                69150                Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                between the back of a high chair and the                of the incidents resulted in injuries.                to the environment and be versatile and
                                                tray or children’s legs catching in the                 These reports did not provide enough                  compact. However, these features also
                                                gap between the bottom of the tray and                  information for CPSC to assess the                    make it difficult for these high chairs to
                                                the top of the passive crotch restraint. In             adequacy of ASTM F404–15 regarding                    comply with the requirements in ASTM
                                                the most severe cases, children slid into               the reported concerns.                                F404–15 and the additional
                                                leg hole openings under the tray and                                                                          requirements proposed in this NPR.
                                                                                                        M. Undetermined                                          There are several requirements that
                                                hung by their necks.
                                                   To address these ‘‘submarining’’                       Four high chair incident reports did                restaurant-style high chairs frequently
                                                cases, ASTM F404–15 contains several                    not provide sufficient information for                do not follow. Contrary to ASTM F404–
                                                performance tests that specifically                     CPSC to determine how the incidents,                  15, wedge blocks can generally pass
                                                address openings, including a probe test                including the one reported death and                  through the leg openings of restaurant-
                                                for gaps and completely-bounded                         two injuries, occurred. The lack of                   style high chairs. The large side and
                                                openings in front of occupants, around                  information available in these incident               back openings also do not meet ASTM
                                                the passive crotch restraint, and                       reports made it impossible for CPSC to                F404–15. The belt used as a passive
                                                between horizontal portions and the                     assess the effectiveness of ASTM F404–                restraint often fits loosely over the top
                                                tray. The standard also includes a test                 15 in addressing these issues.                        rail of the high chair and does not meet
                                                for leg openings and openings around                    VII. Restaurant-Style High Chairs                     the passive restraint requirements of
                                                the sides of the high chair seat to ensure                                                                    ASTM F404–15. The lower and
                                                that occupants cannot slide through and                    ASTM F404–15 applies to high chairs                narrower stance of these high chairs also
                                                become entrapped. ASTM F404–15                          without distinguishing where                          may impact the chairs’ compliance with
                                                requires manufacturers to attach passive                consumers use them. However, many                     the stability requirements in ASTM
                                                crotch restraints to the high chair to                  high chairs are designed to be used in                F404–15. Moreover, there is little space
                                                increase the likelihood that consumers                  commercial settings, primarily                        on these high chairs to accommodate
                                                will use restraints and reduce                          restaurants (‘‘restaurant-style high                  the label requirements in ASTM F404–
                                                submarining incidents. ASTM F404–                       chairs’’). These high chairs generally                15 or the additional requirements CPSC
                                                15’s requirements on openings and                       include features that are particularly                proposes.
                                                scissoring, shearing, and pinching                      useful in commercial or restaurant                       There are several reasons it may be
                                                address less serious entrapment                         settings and may not present the same                 appropriate to apply different
                                                hazards. CPSC believes that ASTM                        hazards as high chairs used in the home.              requirements to restaurant-style high
                                                F404–15 effectively addresses the                       Based on CPSC’s review of incident data               chairs. First, the environment in which
                                                design hazard pattern.                                  and the potential economic impact of                  restaurant-style high chairs are used
                                                                                                        the requirements proposed in this NPR,                may not present the same hazards that
                                                K. Stability                                            it is possible that, due to the unique                are common in the home. In a restaurant
                                                   Stability issues played a role in 16                 environmental factors in restaurant                   environment, caregivers sit next to the
                                                high chair incidents, resulting in 12                   settings, high chairs used in these                   child seated in the high chair, are
                                                injuries. This hazard pattern includes                  settings may present lesser hazards and               unlikely to leave a child unattended in
                                                forward tip-overs, side tip-overs, and                  warrant fewer requirements to reduce                  the high chair, and are not distracted by
                                                rearward tip-overs. Tip-overs generally                 the risk of injury associated with high               the tasks that may divert the caregiver’s
                                                occur when a child leans out of the high                chairs. The following describes the                   attention in a home environment. For
                                                chair or pushes off a nearby surface. In                factors that weigh in favor of and against            these reasons, a caregiver would likely
                                                NEISS reports that included enough                      distinguishing restaurant-style high                  be able to prevent an incident from
                                                detail to identify the cause of the                     chairs from other high chairs and                     occurring, or correct any issue quickly,
                                                incident, the vast majority of the                      possible options for distinguishing                   before serious injury or death could
                                                incidents were falls resulting from tip-                them.                                                 occur. None of the three incidents
                                                overs, mostly rearward tip-overs.                          Of the 1,296 CPSRMS incident                       involving restaurant-style high chairs
                                                CPSRMS data also included reports of                    reports, three explicitly state that the              reported to CPSC involved children who
                                                many injuries resulting from high chairs                incidents occurred in restaurants while               were unattended and entrapped in the
                                                tipping over, also frequently rearward                  consumers used the establishments’                    openings of the high chair. Because
                                                tip-overs.                                              high chairs. Restaurant-style high chairs             caregivers are likely to be nearby and
                                                   ASTM F404–15 requires forward,                       have several distinct features. This style            attentive, it is likely to be less necessary
                                                sideways, and rearward tip-over testing.                of chair is generally constructed from                for warnings regarding attending the
                                                The standard also contains a stability                  robust materials, such as wood or                     child to be visible when the child is in
                                                requirement to simulate the load                        plastic and do not have trays. Therefore,             the high chair. Second, modifying
                                                applied by a child climbing into the                    restaurant-style high chairs can be                   restaurant-style high chairs to comply
                                                chair. CPSC believes that ASTM F404–                    pulled up to a table. In addition,                    with ASTM F404–15 would likely
                                                15 effectively addresses forward and                    restaurant-style high chairs are designed             reduce their utility because these high
                                                sideways tip-overs. However, based on                   to be compact and stackable for easy                  chairs would no longer accommodate
                                                the frequency of rearward tip-over                      storage and have little space available               larger children or bulky clothes, and
                                                incidents, CPSC believes that ASTM                      for labels. Restaurant-style high chairs              would be less compact and not
                                                F404–15 does not adequately address                     are also generally designed to be lower               stackable. Finally, given the possible
                                                rearward tip-over hazards and a more                    to the ground and narrower than high                  lesser safety issues, the proposed
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                                                stringent standard is necessary. Section                chairs intended for home use.                         requirements in this NPR impose
                                                VIII. discusses CPSC’s proposed                         Additionally, restaurant-style high                   proportionately high costs on
                                                rearward stability standard.                            chairs are designed not only to                       restaurant-style high chair suppliers
                                                                                                        accommodate a wide range of ages, from                because these products require more
                                                L. Consumer Observations                                infants to toddlers, but also                         changes to come into compliance.
                                                   Three incident reports involved                      accommodate bulky outerwear and                          There are also several reasons to
                                                consumers’ perceived safety hazards or                  shoes. These design attributes are                    apply the same requirements to
                                                complaints about high chairs, but none                  desirable in a restaurant setting to adapt            restaurant-style high chairs and other


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                                                                     Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                            69151

                                                high chairs. First, restaurant-style high               models passed the requirements of                     positioning of the high chair for
                                                chairs are readily available to                         ASTM F404–15. To develop a                            rearward stability testing. These
                                                consumers and are also used in homes.                   performance test to measure and                       requirements are based on CPSC staff’s
                                                Two of the firms that market their                      improve the rearward stability of high                testing initiative and aim to reduce
                                                products to consumers produce high                      chairs, CPSC worked with an ASTM                      variation in test results. First, CPSC
                                                chairs identical to the wooden high                     task group to develop an alternative                  proposes to require the high chair seat
                                                chairs used in restaurants. This negates                rearward stability test, based on CPSC                back, tray, seat, and wheels to be in
                                                the environmental factors that support                  staff’s and manufacturers’ testing.                   specific positions for rearward stability
                                                distinguishing high chairs used in                      Although this test is not included in                 testing. This will decrease variability in
                                                restaurants. Second, there is minimal                   ASTM F404–15, ASTM may adopt the                      test methods and results, and based on
                                                incident data to indicate whether high                  test in future revisions. CPSC proposes               testing, CPSC believes that these
                                                chairs actually pose lesser safety risks in             to adopt this test, in lieu of the rearward           positions are the most effective for
                                                restaurant settings. It is also possible                stability test in ASTM F404–15.                       assessing high chair stability.
                                                that, although caregivers in restaurants                   The proposed standard is based on a                   Second, CPSC proposes to require a
                                                are near the child, caregivers may be                   rearward stability index (‘‘SI’’) rating              specific test surface, including 60-grit
                                                less likely to attend to the child or use               that evaluates the factors that contribute            sandpaper to prevent sliding and
                                                the restraint system because caregivers                 to rearward tip-overs and sets a                      maximum parameters for the stop block
                                                assume they are near enough to the                      minimum SI score for high chairs. The                 placed behind a high chair with wheels
                                                child to prevent an incident. As the                    task group developed the SI based on a                to instigate tipping. Without these
                                                incident data indicate, this may not be                 review of various stability requirements,             requirements, test results vary because
                                                correct, as incidents can happen                        the incident data, and testing numerous               test surfaces differ and the height of a
                                                quickly. Finally, because high chairs are               high chair models, including those                    stop block affects the amount of force
                                                readily available to consumers, it may                  involved in rearward tip-over incidents               necessary to tip over a high chair.
                                                be difficult, practically, to apply                     and those not reported to be involved in                 The proposed rearward stability
                                                different requirements to these high                    such incidents. The SI measures the                   requirement and test procedure are
                                                chairs.                                                 elements associated with high chair                   effective at identifying high chairs that
                                                   Some options for treating restaurant                 occupants pushing back from a surface.                have been involved in rearward tip-over
                                                style-high chairs differently than other                The SI rates high chairs based on two                 incidents. As such, CPSC believes this
                                                high chairs include excluding                           characteristics associated with rearward              more stringent standard would further
                                                restaurant-style high chairs from the                   tip-overs—the force (‘‘F’’) required to tip           reduce the risk of injury associated with
                                                proposed standard or modifying                          the chair over in the rearward direction              rearward high chair tip-overs, and
                                                individual requirements, such as label                  and the distance (‘‘D’’) that a reference             proposes requiring this modification to
                                                placement and bounded-openings, to                      point on the seat travels as the chair tilts          ASTM F404–15.
                                                reflect the features and lesser safety                  from the manufacturer’s recommended
                                                issues associated with restaurant-style                 use position to the point of instability              B. Warnings in Labels
                                                high chairs.                                            just before tipping over. A chair design                 Based on incident data discussed
                                                   CPSC requests comments on the                        will score well if it requires a large                above and research on effective
                                                following factors: whether it is                        push-off force and/or a long distance to              warnings, CPSC believes that the on-
                                                appropriate to distinguish these high                   reach its tipping point. CPSC’s and                   product warning requirements in ASTM
                                                chairs, which requirements should                       manufacturers’ tests determined that the              F404–15 do not adequately address the
                                                differ, and how CPSC could apply those                  tip force is a more critical factor in                safety risks associated with high chairs;
                                                distinctions.                                           identifying unstable chairs. As such, the             therefore, CPSC proposes more stringent
                                                                                                        SI weights F twice as heavily as D: SI                requirements that would further reduce
                                                VIII. Description of Proposed Changes
                                                                                                        = 2F + D.                                             the risk of injury associated with falls
                                                to ASTM Standard
                                                                                                           The test method CPSC developed                     from high chairs. Specifically, CPSC
                                                   The proposed rule would create part                  through this testing and proposes in this             proposes additional content, form, and
                                                1231, titled, Safety Standard for High                  NPR includes the following elements:                  placement provisions for on-product
                                                Chairs. As explained above, the                            • Attach a force gauge to the center               warnings labels. Tab E of CPSC staff’s
                                                Commission believes that ASTM F404–                     line of the back of the seat, 7.25″ above             briefing package for this proposed rule
                                                15 effectively addresses the safety                     the seating surface and preload it with               includes additional details about these
                                                hazards associated with high chairs,                    3 pounds of force (to eliminate any slack             proposed requirements and the rationale
                                                with the exception of rearward stability                in fabric or loose seats);                            behind them. The briefing package is
                                                and warnings in labels and instructional                   • Establish an initial reference point             available at: http://www.cpsc.gov/
                                                literature. For this reason, the                        along the plane of the force gauge;                   Newsroom/FOIA/Commission-Briefing-
                                                Commission proposes to incorporate by                      • Gradually apply a rearward,                      Packages/.
                                                reference ASTM F404–15, with                            horizontal force until the point at which
                                                modified requirements for rearward                      the chair becomes unstable and begins                 1. Content
                                                stability and warnings. This section                    to tip over backward;                                    CPSC proposes to require high chairs
                                                discusses the proposed changes to                          • Record the maximum force applied                 to bear labels that address the following
                                                ASTM F404–15.                                           during the tip test, along with the total             statements:
                                                                                                        distance the reference point moved from                  Children have suffered skull fractures
                                                A. Rearward Stability
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                                                                                                        its predetermined position; and                       after falling from high chairs. Falls can
                                                   Based on the incident data discussed                    • Calculate the SI by multiplying the              happen quickly if child is not restrained
                                                above, CPSC believes that a more                        force by a factor of two and adding the               properly.
                                                stringent standard than ASTM F404–15                    distance. Based on the product testing                   • Always use restraints, and adjust to
                                                for rearward stability would further                    conducted, CPSC proposes requiring                    fit snugly. Tray is not designed to hold
                                                reduce the risk of injury. CPSC staff has               high chairs to have an SI of 50 or more.              child in chair.
                                                tested the high chair models involved in                   CPSC also proposes to include                         • Stay near and watch your child
                                                incidents and found that the tested                     requirements for the test surface and                 during use.


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                                                69152                Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                   CPSC believes this language would be                    • a detailed description of what                   information than continuous paragraph
                                                more effective than ASTM F404–15’s                      ‘‘attending’’ means, including staying                text.
                                                language at reducing the risk of injury                 near and watching a child;                              ASTM F404–15 does not include
                                                associated with falls from high chairs.                    • an instruction to use the restraint              specific requirements for many of these
                                                CPSC developed the proposed warning                     system and a statement that the tray is               factors. To increase the effectiveness of
                                                language from information developed                     not part of the restraint system;                     warnings and further reduce the risk of
                                                through research on the content of                         • an instruction to adjust the                     injury, based on this research, CPSC
                                                warnings. The proposed rule refers to                   restraints to fit the child snugly; and               proposes the following for high chair
                                                ANSI Z535.4, Product Safety Signs and                      • a warning statement regarding the                warnings:
                                                Labels (‘‘ANSI Z535.4’’), for guidance on               hazard, consequences, and appropriate
                                                                                                        actions to appear together on a label.                  • Red, orange, or yellow on-product
                                                warning label designs. ANSI Z535.4 is
                                                                                                           Similarly to ASTM F404–15, CPSC                    warnings;
                                                the primary U.S. voluntary consensus
                                                standard for product safety signs and                   proposes that for high chairs that have                 • highly contrasting colors, such as
                                                labels. The standard is available at:                   a seating component that is also used as              black and white;
                                                http://www.ansi.org/. ANSI Z535.4                       a seating component for a stroller, the                 • sentence capitalization, with key
                                                addresses the design, application, use,                 content of the labels must comply with                phrases emphasized in boldface;
                                                and placement of on-product warning                     ASTM F833, Standard Consumer Safety
                                                                                                        Performance Specification for Carriages                 • left-justified text;
                                                labels. CPSC’s Division of Human
                                                Factors regularly uses ANSI Z535.4.                     and Strollers (‘‘ASTM F833’’). However,                 • non-condensed typeface; and
                                                   As the staff briefing package                        although ASTM F404–15 only requires                     • outline format.
                                                discusses, literature and guidelines                    compliance with section 8.2.2.2 of
                                                                                                        ASTM F833, CPSC also proposes to                      3. Placement
                                                about warnings consistently recommend
                                                that on-product warnings include:                       require the additional warning provided                  As discussed above, the warning
                                                   • A description of the hazard;                       in section 8.2.2.1. CPSC incorporated                 placement and visibility requirements
                                                   • information about the consequences                 the most recent revision of this standard             in ASTM F404–15 permit different
                                                of exposure to the hazard; and                          (ASTM F833–13b) into 16 CFR part                      portions of warning information to
                                                   • instructions about appropriate                     1227 as the safety standard for carriages             appear on separate labels. CPSC believes
                                                hazard-avoidance behaviors.                             and strollers, with some modifications,               that to be most effective, all of the
                                                   The warning statements in ASTM                       effective September 10, 2015. 79 FR                   warning information should appear
                                                F404–15 lack important details                          13,208 (Mar. 10, 2014).                               together because the hazard description
                                                regarding the hazard and its                            2. Form                                               and potential injuries help motivate
                                                consequences, providing only a vague                                                                          caregivers to take the recommended
                                                                                                           Research indicates that the form of a              actions. Similarly, CPSC believes that it
                                                description of the types of injuries that
                                                                                                        warning can affect the extent to which                is important for caregivers to be able to
                                                may occur. As staff’s briefing package
                                                                                                        consumers notice and read the warning.                see the warnings when putting a child
                                                for this proposed rule indicates,
                                                                                                        The form of a warning can also                        into a high chair and when the child is
                                                providing more detailed and vivid
                                                                                                        communicate the seriousness of a                      in it. This will remind users to use the
                                                information in a warning increases its
                                                                                                        hazard, which can affect compliance                   restraint system when putting the child
                                                effectiveness. Accordingly, CPSC
                                                                                                        with recommended behavior. CPSC                       into the high chair and to stay near and
                                                developed the proposed language,
                                                                                                        considered research on effective forms                watch the child once the high chair is
                                                describing the specific hazard,
                                                                                                        for warnings, including the                           in use. ASTM F404–15 only requires
                                                consequent injuries, and precise actions
                                                                                                        requirements in ANSI Z535.4, in                       certain warning information to be
                                                that can help reduce the likelihood of
                                                                                                        developing the proposed form                          visible when a caretaker is placing a
                                                the hazard.
                                                                                                        requirements. ASTM F404–15 does not                   child in the high chair, not once the
                                                   As Tab E of CPSC staff’s briefing
                                                                                                        include several of the features that have             chair is occupied; and the standard
                                                package for this proposed rule
                                                                                                        been found to be effective, including                 requires other warning information to be
                                                discusses, incident data and other
                                                                                                        colors, contrast, typeface, and layout.               visible when the child is in the chair.
                                                research reveals the following:                            As discussed in Tab E of CPSC staff’s
                                                   • Falls can happen quickly;                          briefing package for this proposed rule,
                                                                                                                                                              Based on the incident data, CPSC
                                                   • falls occur when caregivers are not                research indicates the following points
                                                                                                                                                              believes it would more effectively
                                                close by or watching a child;                                                                                 reduce the risk of injury associated with
                                                                                                        about the format of warnings:
                                                   • falls occur when caregivers do not                    • Certain colors, particularly red,                falls from high chairs if users could see
                                                use the restraint system;                               orange, and yellow, attract attention and             the warning after putting a child in the
                                                   • falls occur when caregivers do not                 help convey the presence of a hazard;                 high chair and before leaving the child
                                                use the restraint system properly; and                     • the degree of contrast contributes to            unattended. As such, CPSC proposes
                                                   • receiving information about a                      readability;                                          requiring warning labels to be visible
                                                hazard, its consequences, and mitigating                   • certain typeface styles, such as                 when placing the occupant in the high
                                                actions, motivates appropriate behavior.                sentence capitalization (i.e., mixed                  chair and once the child is in the high
                                                   As discussed in further detail in Tab                upper and lowercase) and boldface, are                chair.
                                                E of CPSC staff’s briefing package, CPSC                easier to read and more effective at                  4. Additional Guidance
                                                does not believe that ASTM F404–15                      highlighting information than extensive
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                                                includes adequately detailed                            capitalization;                                         CPSC also proposes to include a note
                                                requirements to address many of these                      • left-justified text is easier to read            in the regulatory text referencing ANSI
                                                factors. To increase the effectiveness of               than fully-justified text;                            Z535.4 for optional additional guidance.
                                                warnings and further reduce the risk of                    • condensed or narrow typeface is                  CPSC would not require compliance
                                                injury, CPSC proposes the following for                 less effective at conveying information;              with ANSI Z535.4, but the standard may
                                                high chair warnings:                                    and                                                   offer regulated entities additional useful
                                                   • A statement describing the speed                      • lists and outline formats provide for            information for developing effective
                                                with which incidents can occur;                         better absorption and retention of                    labels.


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                                                                     Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                             69153

                                                C. Warnings in Instructional Literature                 yellow) for warnings in instructional                   Test laboratories applying for
                                                   For reasons similar to using warnings                literature unless a manufacturer opts to              acceptance as a CPSC-accepted third
                                                in on-product labels, CPSC proposes                     use color, in which case the same color               party conformity assessment body to
                                                more stringent requirements for                         requirements as on-product labels                     test for compliance with the proposed
                                                                                                        would apply.                                          standard for high chairs would be
                                                warnings in instructional literature than
                                                                                                                                                              required to meet the third party
                                                ASTM F404–15 provides. CPSC believes                    3. Additional Guidance                                conformity assessment body
                                                that more stringent requirements will
                                                                                                          Similar to ANSI Z535.4, CPSC also                   accreditation requirements in part 1112.
                                                further reduce the risk of injury
                                                                                                        proposes to include a note in the                     When a laboratory meets the
                                                associated with high chairs by providing
                                                                                                        regulatory text referencing ANSI Z535.6               requirements of a CPSC-accepted third
                                                more effective warnings regarding the
                                                                                                        for optional additional guidance. CPSC                party conformity assessment body, the
                                                hazard, potential injuries, and
                                                                                                        would not require compliance with                     laboratory can apply to CPSC to have 16
                                                recommended behavior. This includes
                                                                                                        ANSI Z535.6, but the standard may offer               CFR part 1231, Safety Standard for High
                                                requirements about the content and
                                                                                                        regulated entities additional useful                  Chairs, included in the laboratory’s
                                                form of warnings in instructional
                                                                                                        information for developing effective                  scope of accreditation of CPSC safety
                                                literature. The discussion below                                                                              rules listed for the laboratory on the
                                                provides the rationale for these more-                  warnings in instructional literature.
                                                                                                                                                              CPSC Web site at: www.cpsc.gov/
                                                stringent requirements, and the                         IX. Amendment to 16 CFR Part 1112 To                  labsearch.
                                                requirements are discussed in                           Include NOR for High Chair Standard
                                                additional detail in Tab E of CPSC staff’s                                                                    X. Incorporation by Reference
                                                briefing package for this proposed rule.                   Section 14 of the CPSA establishes
                                                                                                        requirements for product testing and                     Section 1231.2(a) of the proposed rule
                                                1. Content                                              certification. Manufacturers of products              incorporates by reference ASTM F404–
                                                                                                        that are subject to a consumer product                15. The Office of the Federal Register
                                                  Section 9.2 of ASTM F404–15                                                                                 (‘‘OFR’’) has regulations concerning
                                                requires that instructional literature                  safety rule under the CPSA or another
                                                                                                        rule the Commission enforces must                     incorporation by reference. 1 CFR part
                                                contain the same warnings as the                                                                              51. Under these regulations, in the
                                                warnings required on the high chair.                    certify, based on product testing, that
                                                                                                        their product complies with all such                  preamble of the NPR, an agency must
                                                CPSC believes that this requirement is                                                                        summarize the incorporated material
                                                appropriate. However, because CPSC                      rules. 15 U.S.C. 2063(a)(1).
                                                                                                                                                              and discuss the ways the material is
                                                proposes to require different on-product                Additionally, manufacturers of
                                                                                                                                                              reasonably available to interested
                                                warning label content than ASTM                         children’s products that are subject to a
                                                                                                                                                              parties or how the agency worked to
                                                F404–15, the more-stringent warning                     children’s product safety rule must have
                                                                                                                                                              make the materials reasonably available.
                                                requirements also would apply to                        these products tested by a third party
                                                                                                                                                              1 CFR 51.5(a).
                                                instructional literature. The                           conformity assessment body that CPSC                     In accordance with the OFR’s
                                                Commission agrees with the additional                   has accredited, and manufacturers must                requirements, section V.B. of this
                                                content requirement listed in section                   certify that their products comply with               preamble summarizes the provisions of
                                                9.2.1 of ASTM F404–15. Therefore,                       all applicable children’s product safety              ASTM F404–15 that the Commission
                                                CPSC does not propose to modify that                    rules. Id. at 2063(a)(2). The Commission              proposes to incorporate by reference.
                                                requirement.                                            must publish an NOR for the                           ASTM F404–15 is copyrighted. By
                                                                                                        accreditation of third party conformity               permission of ASTM, interested parties
                                                2. Form                                                 assessment bodies to assess conformity                may view the standard as a read-only
                                                   Unlike on-product warning labels,                    with a children’s product safety rule. Id.            document during the comment period of
                                                ASTM F404–15 does not specify the                       at 2063(a)(3). Because the proposed rule              this NPR at: http://www.astm.org/
                                                form in which warning statements in                     is a children’s product safety rule, if the           cpsc.htm. Interested parties may also
                                                instructional literature must appear.                   Commission issues 16 CFR part 1231,                   purchase a copy of ASTM F404–15 from
                                                Similarly to on-product warning labels,                 Safety Standard for High Chairs, as a                 ASTM International, 100 Bar Harbor
                                                research and guidance indicate that                     final rule, the CPSC must also issue an               Drive, P.O. Box 0700, West
                                                specific forms are more effective at                    NOR.                                                  Conshohocken, PA 19428; http://
                                                conveying information. The proposed                        The Commission published a final                   www.astm.org/cpsc.htm. You may also
                                                rule refers to ANSI Z535.6, Product                     rule, codified at 16 CFR part 1112,                   inspect a copy at CPSC’s Office of the
                                                Safety Information in Product Manuals,                  titled, Requirements Pertaining to Third              Secretary, U.S. Consumer Product
                                                Instructions, and Other Collateral                      Party Conformity Assessment Bodies,                   Safety Commission, Room 820, 4330
                                                Materials (‘‘ANSI Z535.6’’) for guidance                which established requirements for                    East West Highway, Bethesda, MD
                                                on the design and location of product                   accreditation of third party conformity               20814, telephone 301–504–7923.
                                                safety messages in instructional                        assessment bodies to test for conformity
                                                literature. The standard is available at:               with children’s product safety rules in               XI. Effective Date
                                                http://www.ansi.org/.                                   accordance with the CPSA. 78 FR 15836                    The Administrative Procedure Act (5
                                                   CPSC proposes to require the same                    (Mar. 12, 2013). Part 1112 also codifies              U.S.C. 551–559) generally requires that
                                                form requirements for warnings in                       all of the NORs the Commission                        the effective date of a rule be at least 30
                                                instructional literature as the                         previously issued.                                    days after publication of the final rule.
                                                requirements proposed for on-product                       NORs for new children’s product                    5 U.S.C. 553(d). To allow time for high
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                                                warning labels, with one exception.                     safety rules, such as the high chair                  chairs to come into compliance with the
                                                CPSC believes that these form                           standard, require the Commission to                   standard, the Commission proposes that
                                                requirements will further reduce the                    amend part 1112. To accomplish this, as               the standard become effective 6 months
                                                risk of injury associated with high                     part of this NPR, the Commission                      after publication of the final rule in the
                                                chairs for the same reasons discussed                   proposes to amend part 1112 to add                    Federal Register. Without evidence to
                                                for on-product warning labels. However,                 high chairs to the list of children’s                 the contrary, CPSC generally considers
                                                CPSC does not propose to require the                    product safety rules for which CPSC has               6 months to be sufficient time for
                                                use of specific colors (i.e., red, orange,              issued an NOR.                                        suppliers to come into compliance with


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                                                69154                Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                a new standard, and 6 months is typical                 while 14 firms market their products for      The Commission is also proposing
                                                for other CPSIA section 104 rules. Six                  use in commercial settings, such as        more stringent requirements for
                                                months is also the period that the                      restaurants, hotels, and day care centers. warnings in labels and instructional
                                                Juvenile Products Manufacturers                         However, consumers are able to             literature. All firms would be affected
                                                Association (‘‘JPMA’’) typically allows                 purchase high chairs that are generally    by the proposed requirements for
                                                for products in the JPMA certification                  designed and marketed for use in           warnings in labels and instructional
                                                program to transition to a new standard                 commercial settings; two of the firms      literature. Each firm would need to
                                                once that standard is published. We also                that market their products to consumers    modify the text and formatting of the
                                                propose that the amendment to part                      also produce high chairs identical to the  warnings for both the product and the
                                                1112 become effective 6 months after                    wooden high chairs used in restaurants.    instructional literature. Firms would
                                                publication of the final rule. We ask for               C. Reason for Agency Action, Objectives, need to move warning labels to the
                                                comments on this proposed effective                     and Legal Basis for Proposed Rule          specified location, ensuring that the
                                                date.                                                                                              warnings are visible when the child is
                                                                                                           Section 104 of the CPSIA requires the placed in the high chair and when the
                                                XII. Regulatory Flexibility Act                         CPSC to promulgate a mandatory             child is in the high chair. If the high
                                                A. Introduction                                         standard for high chairs that is           chair can be used with and without
                                                                                                        substantially the same as the voluntary    padding, this would require placing the
                                                   The Regulatory Flexibility Act                       standard or more stringent than the
                                                (‘‘RFA’’; 5 U.S.C. 601–612) requires                                                               warning on both the high chair and the
                                                                                                        voluntary standard if the Commission       padding. Section XII.F. of this preamble
                                                agencies to consider the impact of                      determines that more stringent
                                                proposed rules on small entities,                                                                  discusses staff’s assessment of the
                                                                                                        requirements would further reduce the      impact of these proposed requirements
                                                including small businesses. Section 603                 risk of injury associated with the
                                                of the RFA requires the Commission to                                                              on small entities.
                                                                                                        product.
                                                prepare an initial regulatory flexibility                                                          E. Other Relevant Federal Rules
                                                analysis (‘‘IRFA’’) and make it available               D. Description of the Proposed Rule
                                                to the public for comment when the                         CPSC proposes to adopt ASTM F404–          CPSC staff has not identified any
                                                NPR is published. The IRFA must                         15 with modifications to the rearward      federal or state rules that duplicate,
                                                describe the impact of the proposed rule                stability test and requirements for        overlap or conflict with the proposed
                                                on small entities and identify significant              warnings on labels and instructional       rule.
                                                alternatives that accomplish the                        literature. Section V. of this preamble    F. Impact of the Proposed Rule on Small
                                                statutory objectives and minimize any                   discusses key provisions of ASTM           Businesses
                                                significant economic impact of the                      F404–15.
                                                proposed rule on small entities.                           CPSC believes that the high chairs of      CPSC is aware of approximately 62
                                                Specifically, the IRFA must discuss:                    37 firms comply with ASTM F404. This firms currently marketing high chairs in
                                                   • The reasons the agency is                          is because JPMA has certified the high     the United States, 51 of which are
                                                considering the action;                                 chairs supplied by 12 firms, and the       domestic firms. Under U.S. Small
                                                   • the objectives and legal basis of the              remaining 25 firms state that they         Business Administration (‘‘SBA’’)
                                                proposed rule;                                          comply with the voluntary standard. As guidelines, a high chair manufacturer is
                                                   • the small entities that would be                   such, these firms will not incur           ‘‘small’’ if it has 500 or fewer
                                                subject to the proposed rule and, when                  additional costs to comply with the        employees, and importers and
                                                possible, an estimate of the number of                  provisions of ASTM F404–15, which          wholesalers are small if they have 100
                                                small entities that would be impacted;                  CPSC proposes to adopt.                    or fewer employees. CPSC limited its
                                                   • the projected reporting,                              In addition to incorporating ASTM       analysis to domestic firms because SBA
                                                recordkeeping, and other compliance                     F404–15 by reference, CPSC proposes to guidelines and definitions pertain to
                                                requirements of the proposed rule,                      adopt modified requirements for            U.S. entities. Based on these guidelines
                                                including the classes of small entities                 rearward stability and warnings in         and available information about the
                                                subject to it and the professional skills               labels and instructional literature        firms, staff has identified 38 of the 51
                                                necessary to prepare the reports or                     because CPSC believes that more            domestic suppliers as small (21
                                                records; and                                            stringent standards in these areas would manufacturers, 13 importers, and 4
                                                   • the relevant federal rules that may                further reduce the risk of injury. Section wholesalers). There may be additional
                                                duplicate, overlap, or conflict with the                VIII. of this preamble discusses these     small domestic high chair suppliers that
                                                proposed rule. 5 U.S.C. 603.                            proposed provisions.                       CPSC is not aware of who are operating
                                                   This section summarizes the IRFA for                    Preliminary testing by CPSC staff and in the U.S. market. Table 3 lists the
                                                this proposed rule. Based on CPSC’s                     other members of the ASTM task group       number of firms by category:
                                                analysis, staff cannot rule out a                       indicates that most high chairs would
                                                significant economic impact for 20 of                   pass the proposed rearward stability         TABLE 3—FIRMS THAT MARKET HIGH
                                                the 38 firms (53 percent) operating in                  test, and therefore, would not require                  CHAIRS IN THE U.S.
                                                the U.S. market for high chairs.                        any modifications to meet the proposed
                                                                                                        standard. Through testing high chairs                                                 Number of
                                                B. Market Description                                   and other market research, staff                      Category                          firms
                                                   CPSC identified 62 firms that supply                 identified only three high chairs that
                                                                                                                                                   Domestic ...............................            51
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                                                high chairs to the U.S. market. The                     might not pass the modified rearward
                                                majority of these firms are domestic                    stability test, based on their design.        Small .................................          38
                                                                                                                                                        Manufacturers ................                 21
                                                (including 27 manufacturers, 19                         However, CPSC expects that the cost of
                                                                                                                                                          Compliant with ASTM
                                                importers, and 5 wholesalers). The                      modifying the design to increase                    F404 .......................               12
                                                remaining 11 firms are foreign                          rearward stability would be low, and              Not Compliant with
                                                (including 9 manufacturers, 1 importer,                 that this could likely be accomplished              ASTM F404 ............                      9
                                                and 1 retailer). Forty-eight of these firms             by adding flat supports to the bottom of        Importers and Whole-
                                                market their products to consumers,                     each back leg.                                    salers .........................             17



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                                                                            Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                           69155

                                                 TABLE 3—FIRMS THAT MARKET HIGH                                and the costs of developing a compliant               3. Third Party Testing Costs for Small
                                                   CHAIRS IN THE U.S.—Continued                                product.                                              Manufacturers
                                                                                                               2. Small Manufacturers with                              Under section 14 of the CPSA, if
                                                                                             Number of
                                                              Category                         firms           NonCompliant High Chairs                              CPSC adopts the proposed high chair
                                                                                                 Nine small manufacturers produce                                    requirements, all manufacturers will be
                                                      Compliant with ASTM                     high chairs that do not comply with the                                subject to the third party testing and
                                                         F404 .......................       9                                                                        certification requirements under 16 CFR
                                                      Not Compliant with
                                                                                              voluntary standard, five who market
                                                         ASTM F404 ............             8 their products for use in commercial
                                                                                                                                                                     part 1107. Third party testing would
                                                  Large ................................. 13 settings, primarily in restaurants. CPSC                                include any physical and mechanical
                                                Foreign ..................................11 believes it is possible that there would                                test requirements specified in a final
                                                                                              be a significant economic impact on                                    high chair rule. Manufacturers and
                                                         Total .......................    62 some of these manufacturers. The five                                   importers should already be conducting
                                                                                              producers of restaurant-style high chairs                              required lead testing for high chairs.
                                                1. Small Manufacturers With Compliant would need to make several changes to                                          Third party testing costs would be in
                                                High Chairs                                   meet the base requirements of ASTM                                     addition to the direct costs of meeting
                                                                                              F404–15. As discussed previously,                                      the high chair standard.
                                                   Of the 21 small manufacturers, 12          different circumstances and needs exist
                                                produce high chairs that comply with                                                                                    More than half of small high chair
                                                                                              for restaurant-style high chairs.
                                                ASTM F404–14. In general, CPSC                                                                                       manufacturers (11 out of 21) are already
                                                                                              Complying with the proposed rule may
                                                expects small manufacturers that                                                                                     testing their products to verify
                                                                                              undermine some of the characteristics
                                                already comply with the voluntary             that make certain high chair features                                  compliance with the ASTM standard,
                                                standard will continue to comply with         desirable in restaurant settings. For                                  although not necessarily by a third party
                                                the standard as the standard evolves          example, leg holes tend to be larger for                               laboratory. For these manufacturers, the
                                                because they follow, and in three cases,      restaurant-style high chairs to                                        impact on testing costs would be limited
                                                actively participate in ASTM’s standard- accommodate children clothed in                                             to the difference between the cost of
                                                development process. As such,                 outerwear and children of varied ages                                  third party tests and the cost of current
                                                compliance with the voluntary standard and sizes. The proposed standard would                                        testing regimes. The suppliers that CPSC
                                                is part of these firms’ established           preclude some features.                                                staff contacted estimate that obtaining
                                                business practice. Because ASTM                                                                                      third party testing for high chairs would
                                                                                                 Manufacturers of restaurant-style high
                                                approved ASTM F404–15 on May 15,                                                                                     cost about $600 to $900 per model
                                                                                              chairs may also need to make changes
                                                2015, these firms would likely be in                                                                                 sample. For manufacturers that are
                                                                                              to meet the proposed warning label
                                                compliance with the standard before the                                                                              already testing, the incremental costs
                                                                                              requirements. For example, two firms
                                                proposed rule would take effect.                                                                                     will be lower than that.
                                                                                              manufacture plastic high chairs that
                                                   For this reason, the economic impact       may need to be redesigned to comply                                       Based on CPSC staff’s examination of
                                                of the proposed rule should be small for with the proposed warning label                                             firm revenues from recent Dun &
                                                10 of the 12 small domestic                   requirements.                                                          Bradstreet or ReferenceUSAGov reports,
                                                manufacturers. These 10 firms include            Four firms that do not currently                                    the impact of third party testing, alone
                                                one firm that may need to modify its          comply with the ASTM standard                                          is unlikely to be economically
                                                high chair to meet the proposed               produce high chairs for home use. One                                  significant for small manufacturers of
                                                rearward stability test; as discussed         of these four firms likely would need to                               noncompliant high chairs. Even without
                                                above, the cost associated with this          make significant changes to its product
                                                modification is likely small.                                                                                        knowing how many samples would be
                                                                                              to meet the proposed warning label                                     needed to meet the ‘‘high degree of
                                                   However, the proposed warning label requirements, given the compact design                                        assurance’’ criterion in part 1107, more
                                                requirements may create a significant         of its product. The three remaining                                    than 12 units per model would be
                                                economic impact for two small                 firms appear to have sufficient room on                                required before testing costs exceed 1
                                                manufacturers. Both firms produce high their high chairs to accommodate the                                          percent of gross revenue for the small
                                                chairs with compact designs, with one         proposed warning labels without
                                                                                                                                                                     manufacturer with the lowest gross
                                                serving the commercial restaurant             redesign, and any modifications to the
                                                                                                                                                                     revenue. CPSC could not obtain revenue
                                                market. Redesigning the seat back             high chairs would be due to the
                                                                                                                                                                     information for one small manufacturer,
                                                would provide additional space for            requirements of ASTM F404–15.
                                                                                              However, CPSC staff could not                                          and therefore, could not evaluate the
                                                warning labels, but may reduce the
                                                chairs’ compactness, which may be an          determine the extent or cost of the                                    impact on that firm. CPSC requests
                                                important feature for marketability. For      changes that may be necessary, so we                                   comments on testing costs and
                                                one firm, high chairs represent a small       cannot rule out a significant economic                                 incremental costs of third party testing
                                                part of its product line, but it is unclear   impact.                                                                (i.e., how much does moving from a
                                                whether the firm could stop producing            CPSC requests comments on the                                       voluntary to a mandatory third party
                                                high chairs because CPSC was unable to differences between restaurant-style                                          testing regime add to testing costs, in
                                                obtain sales revenue information. For         high chairs and high chairs produced                                   total, and on a per-test basis). In
                                                the second firm, high chairs represent        for home use, as well as the desirability                              particular, CPSC requests comments on
                                                an integral part of its commercial                                                                                   the preliminary determination that third
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                                                                                              of particular features in these respective
                                                product line, so discontinuing that           environments. CPSC also requests                                       party testing is unlikely to lead to
                                                product line could create a significant       information about the changes that                                     significant economic impacts for small
                                                economic burden. CPSC requests input          would be necessary to meet the                                         high chair manufacturers. In addition,
                                                on consumer preferences for compact           proposed requirement, including                                        CPSC would like comments about the
                                                high chairs, how compact high chair           whether redesign or retrofitting would                                 number of high chair units that typically
                                                manufacturers would respond to the            be necessary and whether there would                                   need to be tested to provide a ‘‘high
                                                proposed warning label requirements,          be any associated costs.                                               degree of assurance.’’


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                                                69156                Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                4. Small Importers and Wholesalers                      5. Small Importers and Wholesalers                    6. Third Party Testing Costs for Small
                                                With Compliant High Chairs                              With Noncompliant High Chairs                         Importers and Wholesalers
                                                                                                           There is insufficient information to                 As with manufacturers, all importers
                                                   CPSC considered the economic
                                                                                                        rule out a significant impact for any of              and wholesalers would be subject to
                                                impact to importers and wholesalers
                                                                                                        the eight importers and wholesalers of                third party testing and certification
                                                together, because both rely on outside
                                                                                                        noncompliant high chairs. Whether                     requirements, if CPSC adopts a final
                                                firms to supply the products they
                                                                                                        there would be a significant economic                 high chair standard. Consequently,
                                                distribute to the U.S. market. Importers                impact would depend upon the extent                   importers and wholesalers would be
                                                distribute products made by foreign                     of the changes required for these firms               subject to costs similar to
                                                firms and are often closely related to the              to come into compliance and the                       manufacturers’ costs if the foreign
                                                firms producing their products. CPSC                    response of their suppliers. Their                    suppliers of importers and wholesalers
                                                was unable to determine the source of                   suppliers may pass on to the importers                do not obtain third party testing. Just
                                                wholesalers’ high chairs, but the sources               and wholesalers any increase in                       over half of high chair importers and
                                                are likely from other suppliers that may                production costs that result from the                 wholesalers (9 out of 17) already test
                                                be foreign or domestic.                                 proposed changes.                                     their products to verify compliance with
                                                   In the absence of a mandatory                           Six of the eight importers and                     the ASTM standard. Any additional
                                                regulation, the nine firms (seven small                 wholesalers with noncompliant high                    costs associated with a final high chair
                                                importers and two small wholesalers)                    chairs do not appear to have direct ties              rule thus would be limited to the
                                                currently in compliance with the                        to their product suppliers. Therefore,                incremental costs of third party testing
                                                voluntary standard likely would remain                  these firms may choose to switch to                   over the current testing regime.
                                                in compliance with new versions.                        alternative suppliers or manufacture                    There may be significant costs for two
                                                However, the high chairs these firms                    other products, rather than bear the                  or three firms that do not comply with
                                                supply would require modifications to                   costs of complying with the proposed                  the ASTM standard to obtain third party
                                                meet the proposed requirements. There                   standard. It is unclear whether the costs             certification. Specifically, for two firms,
                                                are two firms that may require                          of complying with the proposed                        the cost of testing as few as three units
                                                                                                        requirements would be significant for                 per model could exceed 1 percent of
                                                modifications to meet the rearward
                                                                                                        these firms. Three firms supply                       their gross revenue. A third firm would
                                                stability requirement (one importer and
                                                                                                        restaurant-style high chairs, including               need to test about six units per model
                                                one wholesaler) but, as discussed above,
                                                                                                        one plastic high chair. As such,                      before testing costs would exceed 1
                                                these costs are likely to be low. The cost              although the three firms may find                     percent of its gross revenue. CPSC was
                                                of modifying the wording and format of                  compliant high chairs from alternative                unable to obtain revenue data for one
                                                the warnings should be small, as well,                  supply sources, these firms would share               small, noncompliant importer, and
                                                given that such changes typically add                   the same concerns as restaurant-style                 therefore, could not examine the size of
                                                only a few cents per unit to production                 high chair manufacturers regarding the                the impact on that firm.
                                                costs.                                                  desirability of their product to their
                                                   The proposed placement                               customers. Two of the six firms supply                7. Summary of Impacts
                                                requirements for warnings, however,                     high chairs to the consumer market that                  CPSC staff is aware of 38 small firms
                                                could be more costly, possibly requiring                are identical to several supplied to the              that currently market high chairs in the
                                                firms to retrofit or redesign their high                commercial market. Although the costs                 United States, of which 21 are domestic
                                                chairs. Four of the nine firms likely                   of complying with the proposed                        manufacturers and 17 are domestic
                                                would have to modify the design of                      standard could be significant for these               importers or wholesalers. Of the 21
                                                their high chairs to meet the proposed                  two firms, high chairs make up only a                 small manufacturers, 10 are unlikely to
                                                warnings label visibility requirement.                  small part of their product lines.                    experience significant economic
                                                The high chairs of two firms have                       Therefore, the two firms may eliminate                impacts as a result of the proposed rule.
                                                compact designs, making the display of                  high chairs from their product lines or               However, CPSC cannot rule out a
                                                warning labels difficult. The remaining                 select compliant high chairs from                     significant economic impact for the
                                                two firms provide information in a                      another supplier. However, CPSC was                   remaining 11 manufacturers. For eight
                                                number of languages that would exceed                   unable to obtain sales revenue for high               of the small importers and wholesalers,
                                                the space available on their high chairs.               chairs and could not determine whether                it is unlikely the proposed rule would
                                                Finding an alternative supply source                    exiting the high chair market would                   have a significant economic impact,
                                                                                                        generate significant economic impacts.                based on a review of firm revenues and
                                                would not be a viable alternative for
                                                                                                           The remaining two firms are directly               the options available to each firm.
                                                three of the four firms, due to close                   tied to their foreign suppliers.                      However, it is possible that the
                                                relationships with their suppliers;                     Therefore, finding an alternative supply              proposed rule would have a significant
                                                however, all three firms supply a                       source would not be a viable alternative.             economic impact on the remaining nine
                                                sufficient number of other products that                However, these foreign suppliers may                  small importers and wholesalers.
                                                could probably allow these firms to                     wish to comply with the proposed                      Therefore, in total, based on current
                                                eliminate high chairs from their product                requirements to continue to market their              information, CPSC cannot rule out a
                                                line entirely. The fourth firm is a                     products in the United States. Although               significant economic impact for 20 of
                                                commercial supplier, and high chairs                    it is possible that these firms could stop            the 38 firms (53 percent) operating in
                                                are an integral part of this firm’s product             selling high chairs, it is unlikely for two
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                                                                                                                                                              the U.S. high chair market.
                                                line; therefore, exiting the high chair                 of these firms because high chairs
                                                market would likely cause this firm to                  represent one of only a few products in               8. Impacts of Test Laboratory
                                                go out of business. CPSC requests                       their lines. Again, CPSC could not                    Accreditation Requirements on Small
                                                comments on how importers would                         determine whether exiting the high                    Laboratories
                                                respond to the proposed rule and what                   chair market would generate significant                 In accordance with section 14 of the
                                                are the costs of developing a compliant                 economic impacts, given the lack of                   CPSA, all children’s products that are
                                                product.                                                sales revenue for high chairs.                        subject to a children’s product safety


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                                                                     Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                            69157

                                                rule must be tested by a third party                    15 with the proposed modifications, but                  Third, because a substantial portion of
                                                conformity assessment body that has                     exclude restaurant-style high chairs                  the economic impact of the proposed
                                                been accredited by CPSC. These third                    from the scope of the rule; and (4)                   rule would fall on small, restaurant-
                                                party conformity assessment bodies test                 provide a later effective date for some or            style high chair suppliers, CPSC could
                                                products for compliance with applicable                 all high chairs.                                      exclude restaurant-style high chairs
                                                children’s product safety rules. Testing                   First, section 104 of the CPSIA directs            from this rule. Restaurant settings have
                                                laboratories that want to conduct this                  the Commission to promulgate a                        unique requirements, including a need
                                                testing must meet the NOR for third                     standard that is either substantially the             for smaller high chairs and to
                                                party conformity testing. CPSC has                      same as the voluntary standard or more                accommodate children of various sizes.
                                                codified NORs in 16 CFR part 1112.                      stringent if the Commission determines                It would be difficult to retain these
                                                CPSC proposes to amend 16 CFR part                      that would further reduce the risk of                 features and comply with the proposed
                                                1112 to establish an NOR for testing                    injury associated with the product.                   requirements. Moreover, CPSC has
                                                laboratories to test for compliance with                Therefore, adopting ASTM F404–15                      identified only a few injuries that
                                                the proposed high chair standard. This                  with no modifications is the least                    involved high chairs in restaurant
                                                section assesses the impact of this                     stringent rule CPSC could adopt. This                 settings. Therefore, the reduction in
                                                proposed amendment on small                             alternative would reduce the economic                 safety benefits associated with limiting
                                                laboratories.                                           impact on all of the small businesses                 the rule’s scope likely would be
                                                   CPSC conducted a Final Regulatory                    supplying high chairs to the U.S.                     minimal.
                                                Flexibility Analysis (‘‘FRFA’’) when it                 market. Although, choosing this                          If restaurants could no longer provide
                                                adopted part 1112. 78 FR 15836 (Mar.                    alternative would not reduce the testing              high chairs with the desirable attributes,
                                                12, 2013). The FRFA concluded that the                  costs associated with the rule, this                  restaurants may stop providing high
                                                accreditation requirements would not                    option would eliminate the economic                   chairs for customers, which could result
                                                have a significant adverse impact on a                  impact of complying with the                          in customers using less safe options,
                                                substantial number of small laboratories                requirements that CPSC proposes in                    such as placing infant carriers on tables
                                                because no requirements were imposed                    addition to ASTM F404–15 for many                     or chairs, or using booster seats for
                                                on laboratories that did not intend to                  firms. Specifically, this option would                children under the appropriate age.
                                                provide third party testing services. The               eliminate the cost of complying with the              CPSC requests comments on the
                                                only laboratories that were expected to                 additional requirements for the 10 small              potential impact of excluding
                                                provide such services were laboratories                                                                       restaurant-style high chairs from the
                                                                                                        domestic manufacturers and 9 small
                                                that anticipated receiving sufficient                                                                         proposed rule, including cost and safety
                                                                                                        importers and wholesalers with
                                                revenue from the mandated testing to                                                                          impacts.
                                                                                                        compliant high chairs, all of whom                       Because restaurant-style high chairs
                                                justify accepting the requirements as a
                                                                                                        would likely comply with ASTM F404–                   are also available to consumers for home
                                                business decision.
                                                   For the same reasons, including the                  15 by the time a CPSC final rule for high             use, CPSC could take steps to reduce the
                                                NOR for high chairs in part 1112 would                  chairs would take effect. However, the                potential safety risks of these high
                                                not have a significant adverse impact on                requirements that CPSC proposes in                    chairs through other means. For
                                                small laboratories. Moreover, CPSC                      addition to ASTM F404–15 would                        example, CPSC could require restaurant-
                                                expects that only a small number of                     reduce the risk of injuries associated                style high chair suppliers to label their
                                                laboratories would request accreditation                with backward tip-over incidents and                  products: ‘‘not intended for home use.’’
                                                to test high chairs, based on the number                fall incidents where caregivers did not               Additionally, CPSC could develop
                                                of laboratories that have applied for                   use restraints or used the restraints                 separate warning label requirements for
                                                CPSC accreditation to test for                          improperly. Adopting ASTM F404–15                     these products to inform users of the
                                                conformance to other juvenile product                   with no modifications would not meet                  specific hazard patterns related to
                                                standards. Most laboratories would                      these objectives.                                     restaurant-style high chairs. ASTM
                                                already have accreditation to test for                     Second, the Commission could reduce                could also develop requirements
                                                conformance to other juvenile product                   impacts to small businesses by adopting               specific to restaurant-style high chairs.
                                                standards, and then the only costs                      ASTM F404–15 with the proposed                        CPSC requests comments on the
                                                would be to add the high chair standard                 modifications, except for the                         possibility of excluding restaurant-style
                                                to their scope of accreditation. Test                   requirement regarding the placement                   high chairs from the proposed
                                                laboratories have indicated that this cost              and visibility requirements for warning               requirements, including the
                                                is extremely low when they are already                  labels. One option is to require warning              implications for safety and costs.
                                                accredited for other CPSIA section 104                  labels to be visible only as a child is                  Fourth, the Commission could reduce
                                                rules. Therefore, the Commission                        being placed into the high chair. This                the economic impact of the proposed
                                                certifies that the NOR for the high chair               would reduce the proportion of high                   rule on small businesses by setting a
                                                standard will not have a significant                    chair models with backs that would                    later effective date for some or all high
                                                impact on a substantial number of small                 need to be redesigned and expanded to                 chairs. A later effective date would
                                                entities.                                               accommodate labels that are visible                   reduce the economic impact on firms in
                                                                                                        when the high chair is occupied.                      two ways. First, firms would be less
                                                G. Alternatives                                         Another option would be to allow                      likely to experience a lapse in
                                                  At least four alternatives are available              duplicate labels. Manufacturers could                 production or imports that could result
                                                to minimize the economic impact on                      place one label on the front seat back,               if they are unable to come into
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                                                small entities supplying high chairs                    which would be visible when the child                 compliance and secure third party
                                                while also complying with the direction                 is placed in the seat, and manufacturers              testing within the required timeframe.
                                                of section 104 of the CPSIA: (1) Adopt                  could place a second label in a location              Second, firms could spread costs over a
                                                ASTM F404–15 with no modifications;                     that is visible when the child is in the              longer period, thereby reducing annual
                                                (2) adopt ASTM F404–15 with the                         high chair. This alternative would                    costs, as well as the present value of
                                                proposed modifications, except for                      reduce the economic impact on compact                 total costs. CPSC requests comments on
                                                requirements on the placement of                        high chairs or high chairs with smaller               the 6-month effective date, as well as
                                                warning labels; (3) adopt ASTM F404–                    backs.                                                feedback on how firms likely would


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                                                69158                        Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                address the proposed rule. CPSC could                                     that provide design or performance                      response to the collection of
                                                also consider a longer effective date for                                 requirements for products fall within                   information;
                                                firms that supply restaurant-style high                                   that categorical exclusion. Because this                  • an estimate of the burden that shall
                                                chairs. However, this may not reduce                                      proposed rule would create design and                   result from the collection of
                                                the economic impact on these firms                                        performance requirements for high                       information; and
                                                because the primary cost issue for them                                   chairs, the proposed rule falls within                    • notice that comments may be
                                                is the utility of their high chairs, not the                              the categorical exclusion, and thus, no                 submitted to OMB.
                                                time needed to comply with the                                            EA or EIS is required.                                    In accordance with this requirement,
                                                standard. Nevertheless, CPSC requests                                                                                             the Commission provides the following
                                                                                                                          XIV. Paperwork Reduction Act
                                                comments, particularly from restaurants                                                                                           information:
                                                and other commercial establishments,                                        This proposed rule contains                             Title: Safety Standard for High Chairs
                                                on the validity of this conclusion.                                       information collection requirements that                  Description: The proposed rule would
                                                                                                                          are subject to public comment and                       require each high chair to comply with
                                                XIII. Environmental Considerations                                        review by the Office of Management and                  ASTM F404–15, with additional
                                                   The Commission’s regulations outline                                   Budget (‘‘OMB’’) under the Paperwork                    requirements regarding rearward
                                                the types of agency actions that require                                  Reduction Act of 1995 (‘‘PRA’’; 44                      stability and warnings in labels and
                                                an environmental assessment (‘‘EA’’) or                                   U.S.C. 3501–3521). Under 44 U.S.C.                      instructional literature. Sections 8 and 9
                                                environmental impact statement                                            3507(a)(1)(D), an agency must publish                   of ASTM F404–15 contain requirements
                                                (‘‘EIS’’). Rules that have ‘‘little or no                                 the following information:                              for labels and instructional literature.
                                                potential for affecting the human                                           • a title for the collection of                       These requirements fall within the
                                                environment’’ fall within a ‘‘categorical                                 information;                                            definition of ‘‘collection of information’’
                                                exclusion’’ under the National                                              • a summary of the collection of                      provided in the PRA at 44 U.S.C.
                                                Environmental Policy Act (‘‘NEPA’’; 42                                    information;                                            3502(3).
                                                U.S.C. 4231–4370h) and the regulations                                      • a brief description of the need for                   Description of Respondents: Persons
                                                implementing NEPA (40 CFR parts                                           the information and the proposed use of                 who manufacture or import high chairs.
                                                1500–1508) and do not normally require                                    the information;                                          Estimated Burden: CPSC estimates the
                                                an EA or EIS. As stated in 16 CFR                                           • a description of the likely                         burden of this collection of information
                                                1021.5(c)(1), rules or safety standards                                   respondents and proposed frequency of                   as follows:

                                                                                                               TABLE 4—ESTIMATED ANNUAL REPORTING BURDEN
                                                                                                                                             Number of        Frequency of      Total annual        Hours per   Total burden
                                                                                16 CFR section                                              respondents        responses         responses          response       hours

                                                1231.2 ..................................................................................       62                   2               124               1            124



                                                   CPSC’s estimate is based on the                                        private industries: http://www.bls.gov/                 with supplying instructions with high
                                                following:                                                                ncs/). Therefore, the estimated annual                  chairs would be ‘‘usual and customary,’’
                                                   Section 8.1 of ASTM F404–15                                            cost associated with the proposed                       and thus, excluded from ‘‘burden’’
                                                requires that the name and address (city,                                 labeling requirements is $3,743.56                      estimates under OMB’s regulations.
                                                state, and zip code) of the manufacturer,                                 ($30.19 per hour × 124 hours =                            Based on this analysis, the proposed
                                                distributor, or seller be marked on each                                  $3,743.56). No operating, maintenance,                  standard for high chairs would impose
                                                high chair. Section 8.2 of ASTM F404–                                     or capital costs are associated with the                a burden to industry of 124 hours at a
                                                15 requires a code mark or other                                          collection.                                             cost of $3,743.56 annually.
                                                product identification on each high                                          Section 9.1 of ASTM F404–15                            CPSC has submitted the information
                                                chair and the high chair’s package that                                   requires instructions to be supplied                    collection requirements of this rule to
                                                indicates the date (month and year) of                                    with a high chair. High chairs are                      OMB for review in accordance with
                                                manufacture.                                                              products that generally require use and                 PRA requirements. 44 U.S.C. 3507(d).
                                                   Sixty-two known entities supply high                                   assembly instructions. As such, high                    CPSC requests interested parties submit
                                                chairs to the U.S. market and may need                                    chairs sold without use and assembly                    comments regarding information
                                                to modify their existing labels to comply                                 instructions would not be able to                       collection to the Office of Information
                                                with ASTM F404–15. CPSC estimates                                         compete successfully with high chairs                   and Regulatory Affairs, OMB (see the
                                                that the time required to make these                                      that supply this information. Under                     ADDRESSES section at the beginning of
                                                modifications is about 1 hour per                                         OMB’s regulations, the time, effort, and                this notice). Pursuant to 44 U.S.C.
                                                model. Based on an evaluation of                                          financial resources necessary to comply                 3506(c)(2)(A), the Commission invites
                                                supplier product lines, each entity                                       with a collection of information                        comments on:
                                                supplies an average of two models of                                      incurred by parties in the ‘‘normal                       • whether the proposed collection of
                                                high chairs. Therefore, the estimated                                     course of their activities’’ are excluded               information is necessary for the proper
                                                burden associated with labels is 1 hour                                   from a burden estimate when an agency                   performance of CPSC’s functions,
                                                per model × 62 entities × 2 models per                                    demonstrates that the disclosure                        including whether the information will
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                                                entity = 124 hours. CPSC estimates the                                    activities required are ‘‘usual and                     have practical utility;
                                                hourly compensation for the time                                          customary.’’ 5 CFR 1320.3(b)(2). CPSC is                  • the accuracy of CPSC’s estimate of
                                                required to create and update labels is                                   unaware of high chairs that generally                   the burden of the proposed collection of
                                                $30.19 (U.S. Bureau of Labor Statistics,                                  require use or assembly instructions but                information, including the validity of
                                                ‘‘Employer Costs for Employee                                             lack such instructions. Therefore, CPSC                 the methodology and assumptions used;
                                                Compensation,’’ Mar. 2015, Table 9,                                       estimates that no burden hours are                        • ways to enhance the quality, utility,
                                                total compensation for all sales and                                      associated with section 9.1 of ASTM                     and clarity of the information the
                                                office workers in goods-producing                                         F404–15, because any burden associated                  Commission proposes to collect;


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                                                                     Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                                 69159

                                                   • ways to reduce the burden of the                      • the additional requirements                      § 1112.15 When can a third party
                                                collection of information on                            proposed for warnings in labels and                   conformity assessment body apply for
                                                respondents, including the use of                       instructional literature, including their             CPSC acceptance for a particular CPSC rule
                                                automated collection techniques, when                   effectiveness at addressing the risk of               or test method?
                                                appropriate, and other forms of                         injury associated with falls from high                *     *    *    *      *
                                                information technology; and                             chairs and the costs of complying with                  (b) * * *
                                                   • the estimated burden hours                         these requirements;                                     (44) 16 CFR part 1231, Safety
                                                associated with modifying labels and                       • whether application of different                 Standard for High Chairs.
                                                instructional literature, including any                 requirements to restaurant-style high                 *     *    *    *      *
                                                alternative estimates.                                  chairs is appropriate, relevant safety                ■ 3. Add part 1231 to read as follows:
                                                XV. Preemption                                          implications, and options for applying
                                                                                                        distinct standards;                                   PART 1231–SAFETY STANDARD FOR
                                                  Under section 26(a) of the CPSA, no                      • the costs to small businesses                    HIGH CHAIRS
                                                state or political subdivision of a state               associated with the requirements
                                                may establish or continue in effect a                                                                         Sec.
                                                                                                        proposed in this NPR, including the
                                                requirement dealing with the same risk                                                                        1231.1     Scope.
                                                                                                        costs to comply with the proposed                     1231.2     Requirements for high chairs.
                                                of injury as a federal consumer product                 rearward stability requirements, content
                                                safety standard under the CPSA unless                   and form requirements for labels and                     Authority: The Consumer Product Safety
                                                the state requirement is identical to the                                                                     Improvement Act of 2008, Pub. L. 110–314,
                                                                                                        instructional literature, and placement
                                                federal standard. 15 U.S.C. 2075(a).                                                                          § 104, 122 Stat. 3016 (August 14, 2008); Pub.
                                                                                                        requirements for labels;                              L. 112–28, 125 Stat. 273 (August 12, 2011).
                                                States or political subdivisions of states                 • alternatives to the proposed
                                                may, however, apply to the Commission                   standard that would reduce impacts on                 § 1231.1    Scope.
                                                for an exemption, allowing them to                      small businesses;
                                                establish or continue such a                                                                                    This part establishes a consumer
                                                                                                           • the proposed effective date and                  product safety standard for high chairs.
                                                requirement if the state requirement                    whether an extended effective date
                                                provides a significantly high degree of                 would further mitigate the impact on                  § 1231.2    Requirements for high chairs.
                                                protection from the risk of injury and                  small businesses and to what extent;                     (a) Except as provided in paragraphs
                                                does not unduly burden interstate                       and                                                   (b) through (e) of this section, each high
                                                commerce. Id. at 2075(c).                                  • any additional information relevant              chair must comply with all applicable
                                                  One of the functions of the CPSIA was                 to the issues discussed in this NPR and               provisions of ASTM F404–15, Standard
                                                to amend the CPSA, adding several                       the proposed requirements.                            Consumer Safety Specification for High
                                                provisions to CPSA, including CPSIA                        During the comment period, ASTM                    Chairs, approved on May 15, 2015. The
                                                section 104 in 15 U.S.C. 2056a. As such,                F404–15 is available for review. Please               Director of the Federal Register
                                                consumer product safety standards that                  see section X. for instructions on                    approves this incorporation by reference
                                                the Commission creates under CPSIA                      viewing it.                                           in accordance with 5 U.S.C. 552(a) and
                                                section 104 are covered by the                             Please submit comments in                          1 CFR part 51. You may obtain a copy
                                                preemption provision in the CPSA.                       accordance with the instructions in the               from ASTM International, 100 Bar
                                                Consequently, the rule proposed in this                 ADDRESSES section at the beginning of                 Harbor Drive, P.O. Box 0700, West
                                                NPR would be a federal consumer                         this NPR.                                             Conshohocken, PA 19428; http://
                                                product safety standard, and the
                                                                                                        List of Subjects                                      www.astm.org/cpsc.htm. You may
                                                preemption provision in section 26 of
                                                                                                                                                              inspect a copy at the Office of the
                                                the CPSA would apply.                                   16 CFR Part 1112                                      Secretary, U.S. Consumer Product
                                                XVI. Request for Comments                                 Administrative practice and                         Safety Commission, Room 820, 4330
                                                  This NPR begins a rulemaking                          procedure, Audit, Consumer protection,                East West Highway, Bethesda, MD
                                                proceeding under section 104(b) of the                  Reporting and recordkeeping                           20814, telephone 301–504–7923, or at
                                                CPSIA to issue a consumer product                       requirements, Third party conformity                  the National Archives and Records
                                                safety standard for high chairs and to                  assessment body.                                      Administration (NARA). For
                                                amend part 1112 to add high chairs to                                                                         information on the availability of this
                                                                                                        16 CFR Part 1231                                      material at NARA, call 202–741–6030,
                                                the list of children’s product safety rules
                                                for which CPSC has issued an NOR. We                      Consumer protection, Imports,                       or go to: http://www.archives.gov/
                                                invite all interested persons to submit                 Incorporation by reference, Infants and               federal_register/code_of_federal
                                                comments on any aspect of the                           children, Labeling, Law enforcement,                  _regulations/ibr_locations.html.
                                                proposed mandatory safety standard for                  and Toys.                                               (b) Instead of complying with section
                                                high chairs and on the proposed                           For the reasons discussed in the                    6.5 of ASTM F404–15, comply with the
                                                amendment to part 1112. Specifically,                   preamble, the Commission proposes to                  following:
                                                the Commission requests comments on                     amend Title 16 of the Code of Federal                   (1) 6.5.1 Forward and sideways
                                                the following:                                          Regulations as follows:                               stability—A chair shall not tip over
                                                  • the requirements in ASTM F404–                                                                            when forces are applied in accordance
                                                15, including their effectiveness in                    PART 1112—REQUIREMENTS                                with 7.7.2.4 and 7.7.2.5.
                                                addressing the risk of injury associated                PERTAINING TO THIRD PARTY                               (2) 6.5.2 Rearward stability—When
                                                                                                                                                              tested in accordance with 7.7.2.6
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                                                with high chairs and the costs of                       CONFORMITY ASSESSMENT BODIES
                                                complying with these requirements;                                                                            (paragraph (c)(3) of this section), a high
                                                  • the additional requirements                         ■ 1. The authority citation for part 1112             chair shall not have a Rearward Stability
                                                proposed for rearward stability,                        continues to read as follows:                         Index of 50 or more.
                                                including its effectiveness in addressing                 Authority: Pub. L. 110–314, section 3, 122            (c) For rearward stability testing,
                                                the risk of injury associated with                      Stat. 3016, 3017 (2008); 15 U.S.C. 2063.              instead of complying with sections
                                                rearward tip-overs and the costs of                     ■ 2. Amend § 1112.15 by adding                        7.7.2.1, 7.7.2.2, and 7.7.2.6 of ASTM
                                                complying with these requirements;                      paragraph (b)(44) to read as follows:                 F404–15, comply with the following:


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                                                69160                Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules

                                                  (1) 7.7.2.1 Place the high chair in a                 wheels shall be locked during stability               not inhibit the tipping of the high chair
                                                manufacturer’s recommended use                          testing.                                              or affect the test results.
                                                position with all legs on a level floor                    (2) 7.7.2.2 Place the high chair on a                 (3) 7.7.2.6 Rearward stability—
                                                and with the seat back adjusted into the                rigid, horizontal test surface covered
                                                                                                        with 60 grit sandpaper or equivalent to                  (i) 7.7.2.6.1 Attach a force gauge to
                                                most upright position. Attach the tray in
                                                                                                        prevent the chair from sliding on the                 the rear surface of the seat back at the
                                                the rear position, closest to the high
                                                                                                        test surface during the test. If a high               lateral centerline and 7 1⁄4 in. (184 mm)
                                                chair seat back. For high chairs with
                                                                                                        chair slides on the test surface during               above the occupant seating surface as
                                                height-adjustable seats, adjust the seat
                                                                                                        the test or has wheels that do not lock,              shown in Figure 1. For high chairs with
                                                into the highest manufacturer’s
                                                                                                        place a stop on the test surface to                   a seat back 7 1⁄4 in. (184 mm) high or
                                                recommended use position or the
                                                                                                        prevent sliding during the test. The stop             less, attach the force gauge at the lateral
                                                position deemed most likely to fail. If a
                                                                                                        shall be low profile, minimum height                  centerline and top surface of the seat
                                                high chair has lockable wheels, those
                                                                                                        required to prevent sliding, and shall                back.




                                                   (ii) 7.7.2.6.2 With the high chair in                  (iv) 7.7.2.6.4 Calculate the Rearward                 (iv) 8.4.4 Each warning statement or
                                                the at rest position, gradually apply a                 Stability Index using the formula shown               group of warning statements shall be
                                                preload force ‘‘F’’ of 3 lbf (13 N) to the              below.                                                preceded by the Safety Alert Symbol
                                                seat back surface of the high chair and                 Rearward Stability Index = 2F + D
                                                while maintaining the force, establish                  Force ‘‘F’’ is measured in pounds (lbs.).
                                                the initial location of a reference point               Distance ‘‘D’’ in measured in inches (in.)
                                                some distance away from the force                         (d) Instead of complying with section
                                                                                                                                                              and the signal word ‘‘WARNING’’ in
                                                gauge as shown in Figure 1.                             8.4 of ASTM F404–15, comply with the
                                                                                                                                                              bold uppercase letters. If warnings are
                                                                                                        following:
                                                   (iii) 7.7.2.6.3 Gradually increase the                 (1) 8.4 Warning Statements—Each                     placed directly under or adjacent to one
                                                horizontal force over a period of at least              Product Shall Have Warning                            another, then the safety alert symbol
                                                5 seconds and continue to pull the high                 Statements:                                           and the signal word WARNING need to
                                                chair rearward until the high chair                       (i) 8.4.1 The warnings shall be easy                be displayed only once. The Safety Alert
                                                reaches the point that it becomes                       to read and understand and be in the                  Symbol
                                                unstable and is on the verge of tipping                 English language at a minimum.
                                                over. Record the maximum force ‘‘F’’ in                   (ii) 8.4.2 Any labels or written
                                                                                                                                                                                                            EP09NO15.320</GPH>




                                                pounds (lbs.) applied during the test                   instructions provided in addition to
                                                and the horizontal distance ‘‘D’’ in                    those required by this section shall not
                                                                                                                                                              and the signal word ‘‘WARNING’’ shall
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                                                inches (in.) from the initial location of               contradict or confuse the meaning of the
                                                                                                                                                              not be less than 0.2 in. (5 mm) high and
                                                the reference point to the location of the              required information, or be otherwise
                                                                                                                                                              the remainder of the text shall be in
                                                                                                        misleading to the consumer.
                                                                                                                                                                                                            EP09NO15.319</GPH> EP09NO15.320</GPH>




                                                reference point where the high chair                                                                          characters whose uppercase shall not be
                                                                                                          (iii) 8.4.3 The warning statements
                                                becomes unstable and is on the verge of                                                                       less than 0.1 in. (2.5 mm) high. The
                                                                                                        shall be conspicuous, in highly
                                                tipping over. Force ‘‘F’’ shall be                                                                            height of the safety alert symbol shall
                                                                                                        contrasting color(s) (e.g., black text on a
                                                maintained in a horizontal direction                    white background), permanent, and in                  equal or exceed the signal word height.
                                                throughout the test.                                    non-condensed sans serif style type.                    (v) 8.4.5 The safety alert symbol


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                                                                     Federal Register / Vol. 80, No. 216 / Monday, November 9, 2015 / Proposed Rules                                                  69161

                                                                                                        product background. The signal word                   shall be black, with key words
                                                                                                        ‘‘WARNING’’ and the solid triangle                    highlighted using boldface, on a white
                                                and the signal word ‘‘WARNING’’ shall                   portion of the safety alert symbol                    background surrounded by a solid black
                                                be in contrasting color to the                                                                                line border. This text also shall be left-
                                                background and delineated with solid                                                                          justified, in upper and lowercase letters
                                                black line borders. The background                                                                            (i.e., sentence capitalization), and in list
                                                color behind the safety alert symbol                    shall be black. The exclamation mark of               or outline format, with precautionary
                                                                                                        the safety alert symbol                               statements indented from hazard
                                                                                                                                                              statements and preceded with bullet
                                                                                                                                                              points. An example label in the format
                                                and the signal word ‘‘WARNING’’ shall                                                                         described in this section is shown in
                                                be orange, red, or yellow, whichever                    shall be the same color as the                        Figure 2.
                                                provides the best contrast against the                  background. The remainder of the text




                                                  Note: For optional additional guidance on             warning statements in 8.4.7 (paragraph                Product Manuals, Instructions, and Other
                                                the design of warnings, see the most-recent             (d)(vii) of this section).                            Collateral Materials, American National
                                                edition of ANSI Z535.4, Product Safety Signs               (e) Instead of complying with section              Standards Institute, Inc., available at http://
                                                and Labels, American National Standards                                                                       www.ansi.org/.
                                                                                                        9.2 of ASTM F404–15, comply with the
                                                Institute, Inc., available at http://
                                                www.ansi.org/.                                          following:                                              Dated: November 2, 2015.
                                                                                                           (1) 9.2 The instructions shall contain             Todd A. Stevenson,
                                                   (vi) 8.4.6 The warning statements                    the warnings as specified in section 8.4
                                                shall be in a location that is visible by                                                                     Secretary, Consumer Product Safety
                                                                                                        (paragraph (d)(1) of this section).                   Commission.
                                                the caregiver while placing the occupant                Additional warnings similar to the                    [FR Doc. 2015–28300 Filed 11–6–15; 8:45 am]
                                                into the high chair in each of the                      statements included in this section shall
                                                manufacturer’s recommended use                                                                                BILLING CODE 6355–01–P
                                                                                                        also be included. These required
                                                positions.                                              warning statements shall meet the
                                                   (vii) 8.4.7 High chairs that do not                  requirements described in section 8.4
                                                have a seating component that is also                   (paragraph (d)(1) of this section), except            DEPARTMENT OF THE INTERIOR
                                                used as a seating component of a                        for the color requirements (i.e., the




                                                                                                                                                                                                                EP09NO15.321</GPH>
                                                stroller, shall, in the same label, address                                                                   Bureau of Indian Affairs
                                                                                                        background of the signal word panel
                                                the following warning statements:                       need not be orange, red, or yellow).                  25 CFR Part 30
                                                   Children have suffered skull fractures               However, the warning statements still
                                                after falling from high chairs. Falls can               must be in highly contrasting color(s)                [167 A2100DD/AAKC001030/
                                                happen quickly if child is not restrained               (e.g., black text on a white background),             A0A501010.999900]                                 EP09NO15.320</GPH>


                                                properly.                                               and if color is used, those colors must
                                                   • Always use restraints, and adjust to                                                                     Notice of Intent To Establish a
                                                                                                        meet the color requirements specified in
                                                fit snugly. Tray is not designed to hold                                                                      Negotiated Rulemaking Committee
                                                                                                        section 8.4 (paragraph (d)(1) of this
                                                child in chair.                                         section).                                             AGENCY:   Bureau of Indian Education,
                                                                                                                                                                                                                EP09NO15.320</GPH>




                                                   • Stay near and watch your child                        (2) Reference to section 9.2 of ASTM               Interior.
                                                during use.                                             F404–15 in paragraph (e) of this section              ACTION: Notice of intent; request for
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                                                   (viii) 8.4.8 High chairs that have a                 includes only the introductory                        nominations for tribal representatives;
                                                seating component that is also used as                  paragraph of section 9.2 and does not                 and comments.
                                                a seating component of a stroller shall                 include subsections 9.2.1 or 9.2.2 of
                                                                                                                                                                                                                EP09NO15.320</GPH> EP09NO15.320</GPH>




                                                use the warning statements as specified                 ASTM F404–15.                                         SUMMARY:   The Bureau of Indian
                                                in subsections 8.2.2.1 and 8.2.2.2 of the                  Note: For optional additional guidance on          Education (BIE) is announcing its intent
                                                version of the standard that is                         the design of warnings for instructional              to establish an Accountability
                                                incorporated by reference in part 1227                  literature, see the most-recent addition of           Negotiated Rulemaking Committee
                                                of this subchapter, in place of the                     ANSI Z535.6, Product Safety Information in            (Committee). The Committee will


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Document Created: 2015-12-14 15:05:32
Document Modified: 2015-12-14 15:05:32
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of proposed rulemaking.
DatesSubmit comments by January 25, 2016.
ContactStefanie C. Marques, Project Manager, Directorate for Health Sciences, U.S. Consumer Product Safety Commission, 5 Research Place, Rockville, MD 20850; telephone: 301-987- 2581; email: [email protected]
FR Citation80 FR 69144 
CFR Citation16 CFR 1112
16 CFR 1231
CFR AssociatedAdministrative Practice and Procedure; Audit; Consumer Protection; Reporting and Recordkeeping Requirements; Third Party Conformity Assessment Body; Imports; Incorporation by Reference; Infants and Children; Labeling; Law Enforcement and Toys

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