81_FR_54913 81 FR 54754 - Prohibition of Children's Toys and Child Care Articles Containing Specified Phthalates: Determinations Regarding Certain Plastics

81 FR 54754 - Prohibition of Children's Toys and Child Care Articles Containing Specified Phthalates: Determinations Regarding Certain Plastics

CONSUMER PRODUCT SAFETY COMMISSION

Federal Register Volume 81, Issue 159 (August 17, 2016)

Page Range54754-54762
FR Document2016-19464

The Consumer Product Safety Commission (Commission, or CPSC) is proposing a rule to determine that certain plastics with specified additives would not contain the specified phthalates prohibited in children's toys and child care articles. Based on these determinations, the specified plastics with specified additives would not require third party testing for compliance with the mandatory phthalates prohibitions on children's toys and child care articles.

Federal Register, Volume 81 Issue 159 (Wednesday, August 17, 2016)
[Federal Register Volume 81, Number 159 (Wednesday, August 17, 2016)]
[Proposed Rules]
[Pages 54754-54762]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-19464]


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CONSUMER PRODUCT SAFETY COMMISSION

16 CFR Part 1308

[Docket No. CPSC-2016-0017]


Prohibition of Children's Toys and Child Care Articles Containing 
Specified Phthalates: Determinations Regarding Certain Plastics

AGENCY: U.S. Consumer Product Safety Commission.

ACTION: Notice of proposed rulemaking.

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SUMMARY: The Consumer Product Safety Commission (Commission, or CPSC) 
is proposing a rule to determine that certain plastics with specified 
additives would not contain the specified phthalates prohibited in 
children's toys and child care articles. Based on these determinations, 
the specified plastics with specified additives would not require third 
party testing for compliance with the mandatory phthalates prohibitions 
on children's toys and child care articles.

DATES: Submit comments by October 31, 2016.

ADDRESSES: You may submit comments, identified by Docket No. CPSC-2016-
0017, by any of the following methods:
    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 
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. 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 in writing by mail/hand delivery/courier.

FOR FURTHER INFORMATION CONTACT: Randy Butturini, Project Manager, 
Office of Hazard Identification and Reduction U.S. Consumer Product 
Safety Commission, 4330 East West Hwy., Room 814, Bethesda, MD 20814; 
301-504-7562: email; [email protected].

SUPPLEMENTARY INFORMATION:

A. Background

1. Third Party Testing and Burden Reduction

    Section 14(a) of the Consumer Product Safety Act, (CPSA), as 
amended by the Consumer Product Safety Improvement Act of 2008 (CPSIA), 
requires that manufacturers of products subject to a consumer product 
safety rule or similar rule, ban, standard, or regulation enforced by 
the CPSC, must certify that the product complies with all applicable 
CPSC-enforced requirements. 15 U.S.C. 2063(a). For children's products, 
certification must be based on testing conducted by a CPSC-accepted 
third party conformity assessment body. Id. Public Law 112-28 (August 
12, 2011) directed the CPSC to seek comment on ``opportunities to 
reduce the cost of third party testing

[[Page 54755]]

requirements consistent with assuring compliance with any applicable 
consumer product safety rule, ban, standard, or regulation.'' Public 
Law 112-28 also authorized the Commission to issue new or revised third 
party testing regulations if the Commission determines ``that such 
regulations will reduce third party testing costs consistent with 
assuring compliance with the applicable consumer product safety rules, 
bans, standards, and regulations.'' Id. 2063(d)(3)(B).

2. Prohibitions in Section 108 of the CPSIA

    Section 108 of the CPSIA prohibits children's toys and child care 
articles that contain six specified phthalates in concentrations above 
0.1 percent in ``accessible plasticized component parts and other 
component parts made of materials that may contain phthalates.'' The 
prohibited phthalates in section 108 of the CPSIA are listed in Table 
1. Children's toys and child care articles subject to the content 
limits in section 108 of the CPSIA require third party testing for 
compliance with the phthalate content limits before the manufacturer 
can issue a Children's Product Certificate (CPC) and enter the 
children's toys or child care articles into commerce.

               Table 1--Statutorily Prohibited Phthalates
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  Permanent prohibition on phthalates in children's toys and child care
                                articles
------------------------------------------------------------------------
DEHP: di-(2-ethylhexyl) phthalate
DBP: dibutyl phthalate
BBP: benzyl butyl phthalate
------------------------------------------------------------------------
   Interim prohibition on phthalates in children's toys and child care
                                articles
------------------------------------------------------------------------
DINP: diisononyl phthalate
DIDP: diisodecyl phthalate
DnOP: di-n-octyl phthalate
------------------------------------------------------------------------

    The CPSIA required the Commission to appoint a Chronic Hazard 
Advisory Panel (CHAP) to ``study the effects on children's health of 
all phthalates and phthalate alternatives as used in children's toys 
and child care articles.'' The CHAP issued its report in July 2014.\1\ 
Based on the CHAP report, the Commission published a notice of proposed 
rulemaking (NPR) \2\ proposing to make the interim prohibition on DINP 
in children's toys and child care articles permanent, and proposing to 
lift the interim statutory prohibitions on DIDP and DnOP in children's 
toys and child care articles. In addition, the NPR proposed adding four 
new phthalates to the prohibited list of phthalates that cannot exceed 
0.1 percent concentration in accessible component parts of children's' 
toys and child care articles. Table 2 contains the list of phthalates 
that the NPR proposed to prohibit in children's toys and child care 
articles.
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    \1\ http://www.cpsc.gov/PageFiles/169902/CHAP-REPORT-With-Appendices.pdf.
    \2\ https://www.federalregister.gov/articles/2014/12/30/2014-29967/prohibition-of-childrens-toys-and-child-care-articles-containing-specified-phthalates.

                 Table 2--Proposed Prohibited Phthalates
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                               Phthalates
-------------------------------------------------------------------------
DEHP: di-(2-ethylhexyl) phthalate
DBP: dibutyl phthalate
BBP: benzyl butyl phthalate
DINP: diisononyl phthalate
DIBP: diisobutyl phthalate
DPENP: di-n-pentyl phthalate
DHEXP: di-n-hexyl phthalate
DCHP: dicyclohexyl phthalate
------------------------------------------------------------------------

B. Contractor's Research on Phthalates in Consumer Products

    CPSC contracted with Toxicology Excellence for Risk Assessment 
(TERA) to conduct research on phthalates and provide CPSC with two 
research reports on phthalates relevant to this rulemaking. TERA 
conducted a literature search on the production and use of 11 specified 
phthalates in consumer products (Task 11 Report).\3\ The 11 phthalates 
researched by TERA are based on the phthalates assessed by the CHAP and 
the recommendations made in the CHAP report. Additionally, the CPSC 
contracted with TERA to conduct a literature search on whether 
specified plastics could be determined not to contain any of the 11 
phthalates in concentrations above the CPSIA limit of 0.1 percent (Task 
12 Report).\4\
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    \3\ http://www.cpsc.gov//Global/Research-and-Statistics/Technical-Reports/Other%20Technical%20Reports/TERAReportPhthalates.pdf. The work was conducted as a task order 
(Task 11) under CPSC contract CPSC-D-12-0001.
    \4\ http://www.cpsc.gov//Global/Research-and-Statistics/Technical-Reports/Other%20Technical%20Reports/ReportonPhthalatesinFourPlastics.pdf. The work was conducted as a 
task order (Task 12) under CPSC contract CPSC-D-12-0001.
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    TERA used a tiered literature research approach to identify sources 
for review from among the ``universe'' of available data. The tiers 
were used to provide a structured search method to locate relevant 
sources and eliminate unrelated material. TERA used books, factsheets, 
journal articles, patents, and other sources as primary and secondary 
literature sources. The use of this tiered approach resulted in a 
comprehensive review of the available literature that is representative 
of the information available on the potential for the presence of any 
of the 11 phthalates in the 4 specified plastics.
    TERA screened over 119,800 studies identified by the above 
described tiered search method for relevance to the 11 phthalates and 4 
plastics. CPSC staff reviewed the information provided in the 
contractor report and formulated recommendations for Commission 
consideration based on TERA's research.
    The plastics researched by TERA were:
     Polypropylene (PP);
     Polyethylene (PE);
     High-impact polystyrene (HIPS); and
     Acrylonitrile butadiene styrene (ABS).
    TERA's research included the following factors:
     The raw materials used in the production of the specified 
plastics;
     The manufacturing processes used worldwide to produce the 
plastics;
     Typical applications for the specified plastics in 
consumer products, especially toys and child care articles, focusing on 
circumstances where the plastic could contain phthalates at 
concentrations greater than 0.1 percent;
     The potential use of recycled materials containing the 
specified phthalates in the production of the plastics; and
     The potential for phthalate contamination during 
packaging, storage, use, or other factors.

C. CPSC Staff Analysis

1. Polypropylene (PP)

    TERA's research indicated the production of PP plastic uses a PP 
monomer, ethylene, and other monomers, a hydrocarbon solvent, 
catalysts, nucleating agents or fillers, and a number of other 
additives, depending on the type of PP and other manufacturing 
considerations. Additives can be included in PP to achieve various 
chemical and mechanical characteristics. PP can include the following 
additives:
     Hydrocarbon solvents: Examples of solvents used are hexane 
and heptane;

[[Page 54756]]

     Catalysts: \5\ Catalysts used in producing PP are the 
Ziegler-Natta catalysts; \6\
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    \5\ The Merriam-Webster online dictionary defines a ``catalyst'' 
as ``a substance that causes or accelerates a chemical reaction 
without itself being affected.'' A catalyst is not consumed, 
altered, or incorporated into one of the reaction's products.
    \6\ A Ziegler-Natta catalyst, named after Karl Ziegler and 
Giulio Natta, is a class of catalyst used in the production of some 
plastics.
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     Fillers: Fillers are added to plastics to enhance their 
performance (e.g., impact resistance, shrink resistance), and reduce 
manufacturing costs. Examples of fillers used in PP include talc, 
calcium carbonate, and fiberglass;
     Primary antioxidants: Antioxidants inhibit oxidative 
deterioration of a material. Primary antioxidants donate hydrogen atoms 
to prevent free radical creation. Examples of primary antioxidants 
include hindered phenol, such as butylated hydroxytoluene, and hindered 
amine light stabilizers;
     Secondary antioxidants: Secondary antioxidants prevent 
degradation by breaking down free radicals and hydroperoxides, and 
synergize with the primary antioxidants. Examples of secondary 
antioxidants include phosphites and thioesters;
     Neutralizing agents: Neutralizing agents adjust the 
acidity of the chemicals during production, and can include calcium and 
zinc stearate, zeolites, calcium and zinc oxides, and metallic salts of 
lactic or benzoic acid;
     Antistatic agents: Antistatic agents reduce the buildup of 
static electricity, and can include cationic compounds, anionic 
compounds, and nonionic compounds;
     Slip agents: Slip agents are added to reduce a plastic 
surface's coefficient of friction. Examples of slip agents include 
modified fatty acids or fatty amides;
     Metal deactivators: Transition metals like copper and iron 
can accelerate plastic degradation. Metal deactivators, such as N,N'-
dibenzaloxaldihydrazide, combine with the metal ions and prevent 
catalytic degradation of the plastic;
     Quenchers: Quenchers scavenge stray free radicals and 
decompose unwanted peroxides. Examples of quenchers are organic nickel 
complexes, nickel salts of thiocarbamate, and nickel complexes with 
alkylated phenol phosphonates;
     UV stabilizers: Ultraviolet (UV) stabilizers are added to 
PP to protect the plastic from degradation in sunlight. Examples of UV 
stabilizers are hindered amine light stabilizers, carbon black, 
titanium dioxide, zinc oxide, derivatives of benzophenone, 
benzotriazoles, phenyl, aryl, or acrylic esters, formamidines, and 
oxanilides;
     Nucleating agents: Nucleating agents are additives that 
increase the crystallization of a plastic from a liquid solution. 
Examples of nucleating agents for PP include carboxylic acids, benzyl 
sorbitols, and salts of organic phosphates;
     Flame retardants: Examples of flame retardants include 
brominated flame retardants, cycloaliphatic chlorines; antimony 
trioxide, ferric oxide, zinc oxide, zinc borate, barium metaborates; 
phosphorus flame retardants, magnesium hydroxide, and aluminum 
hydroxide;
     Blowing or foaming agents: Blowing and foaming agents 
create gas bubbles during molding, resulting in a foamed plastic. 
Examples of blowing and foaming agents include sodium bicarbonate, 
sodium borohydride, polycarbonic acid, citric acid, 
4,4'oxybis(benzenesulfonyl hydrazide), azodicarbonamide, or para-
toluenesulfonyl semicarbazide;
     Antiblocking agents: Antiblocking agents are used to 
prevent plastic films from sticking together through cold flow or 
static electricity. Examples of antiblocking agents include natural and 
manufactured waxes, metallic salts of fatty acids, silica compounds, 
and some polymers (e.g., polyvinyl alcohol, polyamides, polyethylene, 
polysiloxanes, and fluoroplastics);
     Lubricants: Lubricants are used in PP (and other plastics) 
to lower the molten material's coefficient of viscosity and prevent the 
plastic from sticking to metal surfaces. The lubricants allow the 
plastic's hydrocarbon chains to slip past each other in the melt. 
Examples of lubricants include metal soaps, hydrocarbon waxes, 
polyethenes, amide waxes, fatty acids, and fatty alcohols, (e.g., 
calcium or zinc stearates); or
     Colorants: Colorants for plastics typically consist of 
dyes, in which the color-producing material is dissolved in a carrier 
medium, and pigments, in which very small particles of the color-
producing material are suspended in the carrier medium. Examples of 
colorants used in PP include heavy metal-based oxides, sulfides, 
chromates, and other complexes, including cadmium, zinc, titanium, 
lead, molybdenum; and ultramines (sulfide-silicate complexes containing 
sodium and aluminum; azo pigments).
    The research showed that among all of these raw materials and 
additives, only Ziegler-Natta catalysts may contain one or more of the 
prohibited phthalates. Ziegler-Natta catalysts are generally titanium-
based catalyst systems in combination with an organoaluminum co-
catalyst, and an internal donor (a molecule that contributes an 
electron to the chemical reaction), such as DBP, DIBP or DEHP. As 
described in the Task 12 Report, these catalysts may survive the 
plastic's polymerization process, and the phthalates may be present in 
the final plastic pellets, theoretically at concentrations of about 1 
mg/kg (1 part per million, ``ppm''). The Task 12 Report references an 
industry analysis in the context of European regulations that indicates 
that phthalate concentrations in PP do not exceed 0.15 mg/kg (0.15 ppm) 
and are often below the measurement threshold of the analytical method 
of 0.01 mg/kg (0.01 ppm).

2. Polyethylene (PE)

    TERA's research indicated that PE is manufactured using PE monomers 
or certain copolymers or other monomers, and a number of additives. 
Additives can be included in PE to achieve various chemical and 
mechanical characteristics. PE can include the following additives:
     Plasticizers: \7\ Examples of plasticizers for PE include 
glyceryl tribenzoate, polyethylene glycol, sunflower oil, paraffin wax, 
paraffin oil, mineral oil, glycerin, EPDM rubber, EVA polymer, DOP; \8\
---------------------------------------------------------------------------

    \7\ The Task 12 Report indicated that several prohibited 
phthalates are used as plasticizers in PE. CPSC staff reviewed the 
report's references for this information. As cited in the Task 12 
Report, Bhunia et al. (2013) reported several phthalates used in 
food packaging plastic films, including PE, referencing Sablani and 
Rahman (2007). In the latter reference, staff did not find any 
support for the claimed uses of phthalates. In fact, in the section 
on plasticizers, Sablani and Rahman (2007) stated that most 
plasticizers are used in PVC and that as a result of studies on 
migration of plasticizers from food packaging, ``. . . industry has 
replaced PVC with other polymers, such as PE or regenerated 
cellulose not associated with plasticizers.'' (emphasis added)
    \8\ The isomer of DOP was not specified. DOP can include DEHP.
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     Initiators: Initiators help form the plastic 
macromolecules from the solution. Examples of PE initiators are benzoyl 
peroxide, azodi-isobutyronitrile, and oxygen;
     Promoters: Promoters in PE improve paint adhesion and 
resistance to some solvents. PE promoters include sodium and calcium 
(in metal or hydride form);
     Catalysts: Catalysts for PE include the Ziegler-Natta 
catalysts, and metallocene catalysts (e.g., zirconium, titanium);
     Fillers: silane and titanate coupling agents are used as 
fillers in PE;
     Antistatic agents: PE antistatic agents include 
polyethylene glycol alkyl esters;

[[Page 54757]]

     Flame retardants: PE flame retardants include antimony 
trioxide, and halogenated substances;
     Anti-blocking agents: Fine silicas are an example of a PE 
antiblocking agent;
     Slip agents: PE slip agents include fatty acid amides such 
as oleamide and erucamide;
     Blowing agents: PE blowing agents include 4,4'-
oxybisbenzenesulfono- hydrazine and azocarbonamide;
     Cross-linking agents: Cross-linking agents set up chemical 
bonds between the plastic macromolecules and assists in ``curing'' the 
plastic. Examples of cross-linking agents include dicumyl peroxide, and 
vinyl silanes;
     Antioxidants: PE antioxidants include 4-methyl-2,6-t-butyl 
phenol, 1,1,3-tris-(4-hydroxy-2-methyl-5-butylphenyl)butane, bis-[2-
hydroxy-5-methyl-3-(1-methylcyclohexyl)phenyl]- methane, and dilauryl-
[beta],[beta]'-thiodipropionate;
     Carbon black; or
     Colorants: PE colorants are often based on cobalt, 
cadmium, and manganese.
    As with PP, PE catalysts include an internal donor, such as DBP, 
DIBP, or DEHP, although the phthalate concentration in the final 
plastic is generally well below 0.15 mg/kg (0.15 ppm).
    One reference in the Task 12 report indicated that DOP can be used 
as a plasticizer in PE. Staff reviewed the cited references, as well as 
citations within the references, and found that uses of DOP in PE are 
mentioned in patents for specialized materials with no known current 
consumer product application, or may be used in materials, such as 
pavement marking, which are not children's products. One cited patent 
described use of phthalates in a PE microporous film used as an 
internal separator for lithium ion batteries.
    The Task 12 Report cited a patent for a material made with PE 
plastic and DBP for use as a surface for outdoor athletic track, 
basketball, volleyball, and playgrounds. CPSC staff found no 
information indicating that such a product has been manufactured and 
marketed for consumer use. Furthermore, the applications for the 
material do not include children's toys or child care articles that are 
subject to the phthalate content restrictions.

3. High-Impact Polystyrene (HIPS)

    TERA's research indicated that HIPS is a plastic blend generally 
produced from styrene, polybutadiene rubber, benzene, and a number of 
other substances. Additives can be included in HIPS to achieve various 
chemical and mechanical characteristics. HIPS can include the following 
additives:
     Catalysts: The Ziegler-Natta catalysts;
     Internal lubricant: Zinc stearate is a lubricant for HIPS;
     Chain transfer/transition agent: Chain transfer/transition 
agents regulate the length of the HIPS macromolecules. HIPS chain 
transfer/transition agents include tertdocecylmercaptan and liquid 
paraffin;
     Stabilizer: Tert-butylcatechol is a stabilizer for HIPS;
     Diluents: Diluents are used to reduce the concentration of 
a plastic as a means to reduce the plastic's viscosity and to modify 
its processing conditions. Examples of HIPS diluents include 
ethylbenzene, and toluene; or
     Colorants: HIPS colorants include azo dyes, anthraquinone 
dyes, perinone dyes, or xanthene dyes.
     Other additives: Additional materials used in the 
manufacture of HIPS include:
    [cir] Aluminum chloride, ethyl chloride, hydrochloric acid;
    [cir] Iron oxide, potassium oxide, chromium oxide; and
    [cir] Bifunctional peroxides.
    As with PP and PE, the polybutadiene used in HIPS production is 
made with the use of catalysts that include an internal donor, such as 
DBP, DIBP, or DEHP. Although no testing for phthalate content was 
located, because the use of phthalate in HIPS is as a catalyst, the 
concentration in the final product is expected to be well below 0.1 
percent.

4. Acrylonitrile Butadiene Styrene (ABS)

    TERA's research indicated that ABS plastic is manufactured with 
specific monomers, such as acrylonitrile, butadiene, and styrene, 
trans-1,4-butadiene, cis-1,4-butadiene, and 1,2-butadiene. Additives 
are included in ABS to achieve various chemical and mechanical 
characteristics. ABS can include the following additives:
     Plasticizers: ABS plasticizers include hydrocarbon 
processing oil, triphenyl phosphate, resorcinol bis(diphenyl 
phosphate), oligomeric phosphate, long chain fatty acid esters, and 
aromatic sulfonamide;
     Hydrocarbon solvents: hexane, heptane, and ethyl benzene;
     Stabilizers against heat or light degradation: Stabilizer 
examples include phenolic antioxidants, thiol-containing antioxidants, 
phosphites, thioesters, substituted benzophenones and benzotriazoles, 
and hindered amines;
     Lubricants: ABS lubricants include metallic stearates, 
montan waxes or amide waxes; \9\
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    \9\ The TERA Task 12 Report did not specify ABS lubricants. CPSC 
staff supplemented the Task 12 Report with additional research.
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     Antioxidants: Phenolic-based or phosphate-based 
antioxidants are used in the manufacture of ABS;
     Molecular weight regulator: An example of an ABS 
molecular-weight regulator is tert-dodecyl mercaptan;
     Initiators/catalysts: ABS initiators and catalysts include 
potassium persulfate, sodium persulfate, oil-soluble initiators in a 
redox system (cumene hydroperoxide, sodium pyrophosphate, dextrose, and 
iron (II) sulfate);
     Activators: Activators prepare the ABS surface for 
electroplating. The activators in ABS are often palladium and tin salts 
in an acid solution; \10\
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    \10\ The TERA Task 12 Report did not specify ABS activators. 
CPSC staff supplemented the Task 12 Report with additional research.
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     Emulsifiers: Emulsifiers are chemicals that promote the 
mixing of hydrophilic and hydrophobic materials. ABS emulsifiers 
include salts of rosin, fatty sodium lauryl sulfate, and oleate;
     Colorants: ABS colorants include phthalocyanines, 
perylenes, cromophtals, titanium dioxide, carbon black, black iron 
oxide, ultramarine blue, red iron oxide, and aluminum flake.\11\
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    \11\ The TERA Task 12 Report did not specify ABS colorants. CPSC 
staff supplemented the Task 12 Report with additional research.
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5. Additional CPSC Staff Research

    TERA's research did not include an examination of the colorants in 
polyethylene, high-impact polystyrene, or acrylonitrile butadiene 
styrene. TERA's research also did not include an examination of the 
lubricants, activators, and antioxidants that could be used in the 
production of ABS. CPSC staff conducted additional research into these 
component parts of the plastics.

6. Potential Phthalate Use in the Four Plastics

    The Task 11 Report indicates that phthalates are used generally as 
plasticizers or softeners of certain plastics, primarily polyvinyl 
chloride (PVC), as solvents, and as components of inks, paints, 
adhesives, and sealants. Except for the general category of inks and 
colorants, the Task 11 Report did not indicate uses of the prohibited 
phthalates in any of the four plastics, in the raw materials, or in the 
types of additives that might be used in the four plastics.
    The four plastics may also be used as ingredients in a variety of 
materials. For

[[Page 54758]]

example, PP may be used in formulations for concrete, paints, and 
lubricating grease. These materials would not be considered to be PP 
plastic. PE, HIPS, ABS also may be used as additives in materials that 
would not be considered plastics.
    The TERA Task 11 and Task 12 Reports indicate that the phthalates 
researched are not associated with the chemistry and applications of 
the plastics PP, PE, HIPS, or ABS. When these plastics are plasticized, 
materials other than the phthalates are used as plasticizers (e.g., 
hydrocarbon processing oil, phosphate esters, long chain fatty acid 
esters, and aromatic sulfonamide for ABS). TERA found one reference in 
which DnOP (also referred to as DOP) was used as a plasticizer for PE. 
However, the only application cited was a patent for a microporous 
plastic film used in the production of lithium-ion batteries. TERA's 
research included references prior to and after the enactment of the 
CPSIA, none of which indicated any phthalate use in the four plastics.

7. Studies Where Phthalates Were Detected

    TERA's investigation of the uses of the four plastics shows that 
all four are used to make plastic consumer products and component 
parts. None of these applications specifically includes phthalates, 
although a few studies of the phthalate content of products were 
located.
    Several studies evaluated food, beverage, and cosmetics packaging 
made with PP, PE, and polystyrene (PS). These studies generally 
measured migration of specified chemicals, including phthalates, from 
products purchased in retail stores. The references provided few or no 
details about all the materials used in the products, including whether 
other plastics were present, whether other component parts were present 
such as coatings, finishes, inks, or adhesives, or whether residues of 
the contained products were present.
    The Task 12 Report also cited a Korean study of various products 
that reported low levels of phthalates in a toy car made with ABS. The 
study provided no details about other materials used in the product, 
including whether other plastics were present, or whether other 
component parts were present such as coatings, finishes, inks, or 
adhesives.
    The Task 12 Report's detailed description of the raw materials and 
manufacturing processes for PP, PE, HIPS, and ABS plastics showed that 
phthalates are not present after these plastics are produced. However, 
the Task 11 Report describes uses of phthalates in materials on these 
plastics, such as coatings, inks, and adhesives. Because consumer 
products purchased in stores likely consist of a number of different 
component parts, some of which may have contained phthalates, the 
studies described above should not be considered to be evidence that 
phthalates were used in the manufacture of the PP, PE, HIPS, or ABS 
plastic component parts of consumer products subject to the phthalate 
content restrictions.

8. Phthalates in Recycled Materials

    All four plastics may be recycled and reprocessed into new 
products. However, degradation of the original plastics during the 
recycling process and mixing with other plastics or materials in the 
recycling steam can reduce the quality of the recovered plastic and 
limit further commercial uses. In some cases, recovered plastics are 
mixed with virgin plastics to improve the products' quality and 
utility. The Task 12 Report indicated that few studies were located for 
analysis of phthalates in recycled plastics. One study found no 
phthalates in recycled PP carpet. Two studies analyzed solid waste 
consisting of PP or PE. One study reported detection of phthalates in 
recovered waste PP and PE material, but not in samples of virgin PP or 
PE plastic. The other study reported phthalates in recovered PE. The 
authors of the latter study suggested that the source of phthalates 
could have been the products that had been in contact with the plastic.
    HIPS and ABS are generally used as rigid materials; available 
information does not indicate use of phthalates in such materials or 
associated with recycled HIPS or ABS.
    Some studies indicated the potential for low, but detectable, 
levels of phthalates in plastics, such as PP or PE packaging that 
contained or had been in contact with a phthalate-containing product. 
Products made with such materials could contain residual phthalates, 
although at levels well below the maximum allowed concentration in 
children's products.\12\
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    \12\ The highest level recorded by Huber and Franz was 200 ppm 
for one sample of DBP. The other samples' concentrations ranged from 
3.1 to 96.3 ppm.
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9. Staff Conclusions Based on TERA Research

    With the exception of the catalysts for polymerization, and 
certain, specific uses of phthalates in products without consumer 
product applications, neither of the TERA task reports, nor research by 
CPSC staff found that phthalates are used as a component part of the 
four plastics. In the case of the phthalate catalysts used in plastics 
manufacturing, the phthalate concentration in finished plastics is 
significantly below the maximum allowable concentration.
    The two TERA task reports and CPSC staff research show that very 
little information exists that indicates that manufactured PP, PE, 
HIPS, and ABS plastics could contain the researched phthalates. The 
research located references, including patents, for uncommon and 
specialized products, and products that generally do not have 
applications to children's toys and child care articles.
    Staff found no evidence that phthalates are present at 
concentrations above 0.1 percent in any of the four plastics (either 
virgin or using recycled material) for consumer products, especially 
children's products.

D. Determinations for Specified Plastics

1. Legal Requirements for a Determination

    As noted above, section 14(a)(2) of the CPSA requires third party 
testing for children's products that are subject to a children's 
product safety rule. 15 U.S.C. 2063(a)(2). Children's toys and child 
care articles must comply with the phthalates prohibitions in section 
108 of the CPSIA. 15 U.S.C. 2057c. In response to statutory direction, 
the Commission has investigated approaches that would reduce the burden 
of third party testing while also assuring compliance with CPSC 
requirements. As part of that endeavor, the Commission has considered 
whether certain materials used in children's toys and child care 
articles would not require third party testing.
    To issue a determination that a plastic (including specified 
additives) does not require third party testing, the Commission must 
have sufficient evidence to conclude that the plastic and specified 
additives would consistently comply with the CPSC requirement to which 
the plastic (and specified additives) is subject so that third party 
testing is unnecessary to provide a high degree of assurance of 
compliance. Under 16 CFR part 1107 section 1107.2, ``a high degree of 
assurance'' is defined as ``an evidence-based demonstration of 
consistent performance of a product regarding compliance based on 
knowledge of a product and its manufacture.''
    For a material determination, a high degree of assurance of 
compliance means that the material will comply

[[Page 54759]]

with the specified chemical limits due to the nature of the material or 
due to a processing technique that reduces the chemical concentration 
below its limit. For materials determined to comply with a chemical 
limit, the material must continue to comply with that limit if it is 
used in a children's product subject to that requirement. A material on 
which a determination has been made cannot be altered or adulterated to 
render it noncompliant and then used in a children's product.
    Phthalates are not naturally occurring materials, but are 
intentionally created and used in specific applications (e.g., 
plastics, surface coatings, solvents, inks, adhesives, and some 
rubberized materials). One application of phthalates in children's toys 
and child care articles is as a plasticizer, or softener for plastic 
component parts.\13\ The addition of a plasticizer converts an 
otherwise rigid plastic into a more flexible form, such as in a child's 
rubber duck or a soft plastic doll. Because plastics can contain the 
prohibited phthalates, third party testing is required before a CPC can 
be issued for children's toys and child care articles with accessible 
plastic component parts. However, some specific plastics with certain 
additives might not use any of the prohibited phthalates as a 
plasticizer, or for any other purpose. For these specific plastics and 
accompanying additives, compliance with the requirements of section 108 
of the CPSIA can be assured without requiring third party testing. As a 
means to reduce the third party testing burden on children's product 
certifiers while continuing to ensure compliance, the CPSC is proposing 
to make determinations that specified plastics with certain additives 
comply with the phthalate content requirements of section 108 of the 
CPSIA based on evidence indicating that such materials will not contain 
the prohibited phthalates.
---------------------------------------------------------------------------

    \13\ The Merriam-Webster online dictionary defines a plasticizer 
as ``a chemical added especially to rubbers and resins to impart 
flexibility, workability, or stretchability.''
---------------------------------------------------------------------------

    Based on the discussion in section C of this preamble, the 
Commission proposes to determine that the specified four plastics and 
accompanying additives would comply with the phthalates prohibitions 
with a high degree of assurance. These determinations mean that third 
party testing for compliance with the phthalates prohibitions is not 
required for certification purposes for the specified four plastics. 
The Commission proposes to make these determinations to reduce the 
third party testing burden on children's product certifiers while 
continuing to assure compliance.

2. Statutory Authority

    Section 3 of the CPSIA grants the Commission general rulemaking 
authority to issue regulations, as necessary, to implement the CPSIA. 
Public Law 110-314, sec. 3, Aug. 14, 2008. As noted previously, section 
14 of the CPSA, which was amended by the CPSIA, requires third party 
testing for children's products subject to a children's product safety 
rule. 15 U.S.C. 2063(a)(2). Section 14(d)(3)(B) of the CPSA, as amended 
by Public Law 112-28, gives the Commission the authority to ``prescribe 
new or revised third party testing regulations if it determines that 
such regulations will reduce third party testing costs consistent with 
assuring compliance with the applicable consumer product safety rules, 
bans, standards, and regulations.'' Id. 2063(d)(3)(B). These statutory 
provisions authorize the Commission to issue a rule determining that 
specified plastics and additives will not exceed the phthalates 
prohibitions of section 108 of the CPSIA, and therefore, specified 
plastics do not require third party conformity assessment body testing 
to assure compliance with the phthalates limits in section 108 of the 
CPSIA.
    The proposed determinations would relieve the four specified 
plastics and accompanying additives from the third party testing 
requirement of section 14 of the CPSA for purposes of supporting the 
required certification. However, the proposed determinations would not 
be applicable to any other plastic or additives beyond those listed in 
the proposed rule.
    The proposed determinations would only relieve the manufacturers' 
obligation to have the specified plastics and accompanying additives 
tested by a CPSC accepted third party conformity assessment body. 
Children's toys and child care articles must still comply with the 
substantive phthalates content limits in section 108 of the CPSIA 
regardless of any relief on third party testing requirements.

3. Description of the Proposed Rule

    This proposed rule would create a new Part 1308 for ``Prohibition 
of Children's Toys and Child Care Articles Containing Specified 
Phthalates: Determinations Regarding Certain Plastics.'' The proposed 
rule would determine that the specified four plastics and accompanying 
additives do not contain the statutorily prohibited phthalates (DEHP, 
DBP, BBP, DINP, DIDP, DnOP) in concentrations above 0.1 percent, and 
thus, are not required to be third party tested to assure compliance 
with section 108 of the CPSIA. As discussed in section A.2 of the 
preamble, the agency is currently involved in rulemaking to determine 
whether to continue the interim prohibitions in section 108 and whether 
to prohibit any other children's products containing any other 
phthalates. TERA's examination covered all phthalates that are subject 
to the current permanent and interim prohibitions, as well as the 
additional phthalates the Commission proposed restricting in the 
phthalates proposed rule. If the Commission issues a final rule in the 
phthalates rulemaking before finalizing this determinations rulemaking, 
the Commission would modify the determinations proposed rule so that 
the determinations rule covers the same phthalates restricted by the 
final phthalates rule.
    Section 1308.1 of the proposed rule explains the statutorily-
created requirements for children's toys and child care articles under 
section 108 of the CPSIA and the third party testing requirements for 
children's products.
    Section 1308.2(a) of the proposed rule would establish the 
Commission's determinations that the following plastics do not exceed 
the phthalates content limits with a high degree of assurance as that 
term is defined in 16 CFR part 1107:
     Polypropylene, with any of the following additives:
    [cir] the plasticizers polybutenes, dioctyl sebacate, paraffinic 
oil, isooctyl tallate, mineral plasticizing oils, and polyol;
    [cir] hydrocarbon solvents;
    [cir] catalysts;
    [cir] fillers;
    [cir] nucleating agents;
    [cir] primary and secondary antioxidants;
    [cir] neutralizing agents;
    [cir] antistatic agents;
    [cir] slip agents;
    [cir] metal deactivators;
    [cir] quenchers;
    [cir] UV stabilizers;
    [cir] flame retardants;
    [cir] blowing or foaming agents;
    [cir] antiblocking agents;
    [cir] lubricants; or
    [cir] colorants.
     Polyethylene, with any of the following additives:
    [cir] the plasticizers glyceryl tribenzoate, polyethylene glycol, 
sunflower oil, paraffin wax, paraffin oil, mineral oil, glycerin, EPDM 
rubber, and EVA polymer;
    [cir] catalysts;

[[Page 54760]]

    [cir] initiators;
    [cir] promoters;
    [cir] antistatic agents;
    [cir] fillers;
    [cir] flame retardants;
    [cir] anti-blocking agents;
    [cir] slip agents;
    [cir] blowing agents;
    [cir] cross-linking agents;
    [cir] antioxidants;
    [cir] carbon black; or
    [cir] colorants.
     High-impact polystyrene, with any of the following 
additives:
    [cir] catalysts;
    [cir] internal lubricants;
    [cir] chain transfer/transition agents;
    [cir] stabilizers;
    [cir] diluents;
    [cir] colorants;
    [cir] aluminum chloride, ethyl chloride, hydrochloric acid;
    [cir] iron oxide, potassium oxide, chromium oxide; or
    [cir] bifunctional peroxides.
     Acrylonitrile butadiene styrene, with any of the following 
additives:
    [cir] the plasticizers phosphate esters, long chain fatty acid 
esters and aromatic sulfonamide;
    [cir] hydrocarbon solvents;
    [cir] stabilizers;
    [cir] lubricants;
    [cir] antioxidants;
    [cir] molecular weight regulators;
    [cir] initiators/catalysts,
    [cir] activators;
    [cir] emulsifiers; or
    [cir] colorants.
    Section C.2 of the preamble provides a more detailed discussion of 
the additives for each of the four plastics with the specified 
additives including definitions of the additives and various examples 
of the types of additives.
    Section 1308.2(b) of the proposed rule states that accessible 
component parts of children's toys and child care articles made with 
the specified plastics, and specified additives listed in paragraph (a) 
of that section, are not required to be third party tested pursuant to 
section 14(a)(2) of the CPSA and 16 CFR part 1107. Proposed Sec.  
1308.2(b) is included in the rule to make clear that when the listed 
plastics and accompanying additives are used in children's toys and 
child care articles, manufacturers and importers are not required to 
conduct the third party testing required in section 14(a)(2) of the 
CPSA and 16 CFR part 1107. Section 1308.2(c) of the proposed rule 
states that accessible component parts of children's toys and child 
care articles made with a plastic or additives not listed in paragraph 
(a) of this section are required to be third party tested pursuant to 
section 14(a)(2) of the CPSA and 16 CFR part 1107. Proposed Sec.  
1308.2(c) is intended to make clear that if a manufacturer or importer 
uses any other plastic or additive in a children's toy or child care 
article not listed in proposed Sec.  1308.1(a), that children's toy or 
child care article must be third party tested pursuant to section 
14(a)(2) of the CPSA and 16 CFR part 1107. Finally, the determinations 
in proposed Sec.  1308.2(a) would only remove the obligation to have 
children's toys and child care articles tested by a third party 
conformity assessment body. Regardless of any third party testing 
relief that the proposed rule would provide, the manufacturer or 
importer must still comply with the underlying phthalates content 
prohibitions in section 108 of the CPSIA.

E. Effective Date

    The Administrative Procedure Act (APA) generally requires that a 
substantive rule must be published not less than 30 days before its 
effective date. 5 U.S.C. 553(d)(1). Because the proposed rule would 
provide relief from existing testing requirements under the CPSIA, the 
Commission proposes a 30 day effective date for the final rule.

F. Regulatory Flexibility Act

1. Introduction

    The Regulatory Flexibility Act (RFA) requires that agencies review 
a proposed rule for the rule's potential economic impact on small 
entities, including small businesses. Section 603 of the RFA generally 
requires that agencies prepare an initial regulatory flexibility 
analysis (IRFA) and make the analysis available to the public for 
comment when the agency is required to publish a notice of proposed 
rulemaking, unless the agency certifies that the NPR will not have a 
significant economic impact on a substantial number of small entities. 
The IRFA must describe the impact of the proposed rule on small 
entities and identify any alternatives which accomplish the statutory 
objectives and may reduce the significant economic impact of the 
proposed rule on small entities. Specifically, the IRFA must contain:
     A description of the reasons why action by the agency is 
being considered;
     a succinct statement of the objectives of, and legal basis 
for, the proposed rule;
     a description of, and where feasible, an estimate of the 
number of small entities to which the proposed rule will apply;
     a description of the projected reporting, recordkeeping, 
and other compliance requirements of the proposed rule, including an 
estimate of the classes of small entities subject to the requirements 
and the types of professional skills necessary for the preparation of 
reports or records; and
     an identification, to the extent possible, of all relevant 
federal rules which may duplicate, overlap, or conflict with the 
proposed rule.

2. Reason for Agency Action and Legal Basis for the Proposed Rule

    The Commission is proposing this NPR to reduce the burden of third 
party testing on toy and child care article manufacturers, especially 
the burden on those that are small entities. Based on an extensive 
literature review seeking information on the raw materials used in the 
manufacture of the specified plastics, the worldwide manufacturing 
practices of the plastics, the typical applications, and the potential 
for exposure to the specified phthalates through the use of recycled 
materials or due to contamination, the Commission concludes that there 
is a high degree of assurance that polypropylene, polyethylene, high 
impact polystyrene, and acrylonitrile butadiene styrene with the 
accompanying additives in the proposed rule will not contain any of the 
prohibited phthalates in concentrations above 0.1 percent when used in 
children's toys and child care articles. Therefore, third party testing 
is not necessary to assure that children's toys and child care articles 
with accessible component parts made from these plastics and 
accompanying additives do not contain the prohibited phthalates.

3. Small Entities To Which the Proposed Rule Would Apply

    The proposed rule would apply to small entities that manufacture or 
import children's toys or child care articles that contain accessible 
polyethylene, polypropylene, high impact polystyrene, or acrylonitrile 
butadiene styrene and any accompanying additives in component parts. 
Toy manufacturers are classified in North American Industry 
Classification System (NAICS) category 33993 (``Doll, Toy, and Game 
Manufacturing''). According to the U.S. Bureau of the Census, in 2012 
there were 559 toy manufacturers in the United States, of which 552 had 
fewer than 500 employees and would be considered small entities 
according to the Small Business Administration (SBA) criteria.\14\ Of 
the small

[[Page 54761]]

manufacturers, 326 had fewer than five employees.
---------------------------------------------------------------------------

    \14\ 2012 County Business Patterns.
---------------------------------------------------------------------------

    Toy importers may be either wholesale merchants or retailers. The 
proposed rule would not apply to toy wholesalers or retailers if they 
obtain their merchandise from domestic manufacturers or importers. Toy 
wholesalers are classified in NAICS category 42392 (``Toy and Hobby 
Goods and Supplies Merchant Wholesalers''). According to the U.S. 
Bureau of the Census, there were 2,096 firms in this category.\15\ Of 
these, 2,021 had fewer than 100 employees and would be considered small 
businesses according to SBA criteria. Toy retailers are classified in 
NAICS category 45112 (``Hobby, Toy, and Game Stores''). There could be 
about 5,800 toy retailers that would meet the SBA criteria to be 
considered a small entity.\16\ The number of these small toy retailers 
that import toys, as opposed to obtaining their product from domestic 
sources is not known.
---------------------------------------------------------------------------

    \15\ 2012 County Business Patterns.
    \16\ The SBA considers a toy retailer (NAICS 45112) to be a 
small entity if its annual sales are less than $27.5 million. 
According to the U.S. Bureau of the Census, in 2007, the average 
receipts for toy manufacturers with more than 500 employees was 
almost $500 million. The average receipts for the next largest 
category for which summary data was published, toy retailers with at 
least 100 but fewer than 500 employees were about $12 million. There 
were 5,864 firms in this NAICS category, of which 5,839 had fewer 
than 500 employees. (U.S. Census Bureau, Number of Firms, Number of 
Establishments, Employment, Annual Payroll, and Estimated Receipts 
by Enterprise Employment Size for the United States, All Industries: 
2007.)
---------------------------------------------------------------------------

    The phthalate regulations also apply to manufacturers and importers 
of child care articles. Child care articles include many types of 
products for which the CPSC has recently promulgated or proposed new or 
amended mandatory safety standards. These include toddler beds, full 
size and non-full size cribs, bassinets and cradles, bedside sleepers, 
high chairs, hook-on-chairs, and booster seats. Other child care 
articles include sleepwear, and crib or cradle bumpers. In its ongoing 
market research, CPSC staff has identified 364 suppliers of these 
products that would be considered small according to criteria 
established by the SBA. Additionally, there could be other child care 
articles, not listed above, for which CPSC has not yet developed a 
mandatory or proposed standard, but which nevertheless are covered by 
the phthalate requirements.
    Child care articles would also include products such as teethers 
(if they are not medical devices), pacifiers, and bottle nipples. 
Manufacturers of these products are classified in NAICS category 326299 
(``All other rubber product manufacturing''). There are 617 firms 
classified in this NAICS code of which 573 are considered to be 
small.\17\ However, this NAICS category includes many other products 
and most of these firms probably do not manufacture child care 
articles.
---------------------------------------------------------------------------

    \17\ U.S. Bureau of the Census, ``Number of Firms, Number of 
Establishments, Employment, and Annual Payroll by Enterprise 
Employment Size for the United States, All Industries: 2011,'' 2011 
County Business Patterns.
---------------------------------------------------------------------------

    Although, as discussed above, the number of small companies that 
supply children's toys or child care articles to the U.S. market might 
be close to 10,000, the number that actually supply products with 
accessible polyethylene, polypropylene, high impact polystyrene, or 
acrylonitrile, butadiene styrene component parts is not known. Also not 
known is the number of children's toys and child care articles that 
contain these plastics. To develop comprehensive estimates of the 
number of products that contain these plastics and the number of firms 
that supply the products it would probably be necessary to survey a 
representative sample of toy and child care article suppliers to 
solicit information on their use of the four plastics or to collect a 
representative sample of children's toys and child care articles and 
analyze the accessible components to determine which ones contained one 
or more of the four plastics.
    Although comprehensive estimates of the number of children's toys 
and child care articles that contain components made from the four 
plastics are not available, there is some evidence that these plastics 
are extensively used in children's toys. One source stated that 
polypropylene and high density polyethylene are used in 38 and 25 
percent, respectively, of injection molded toys. Low density 
polyethylene and acrylonitrile butadiene styrene, are each used in less 
than 10 percent of the injection molded toys. Polystyrene may also be 
used in injection molded toys, but the source does not specify the 
proportion that is high impact polystyrene.\18\ The Commission requests 
comments to better determine the impact the proposed determinations 
would have on small entities.
---------------------------------------------------------------------------

    \18\ Donald V. Rosato, Plastics End Use Applications, Springer, 
New York, (2011).
---------------------------------------------------------------------------

4. Reporting, Recordkeeping, and Other Compliance Requirements and 
Impact on Small Businesses

    The proposed rule would determine that there is a high degree of 
assurance that four specific plastics with any of the accompanying 
additives will not contain any prohibited phthalates at concentrations 
above 0.1 percent prohibition level. As a result of the proposed 
determinations, manufacturers, importers, and private labelers of 
children's toys and child care articles that have accessible components 
that consist of these plastics and any accompanying additives will not 
have to obtain third party tests to certify that the accessible 
components do not contain the prohibited phthalates in concentrations 
above 0.1 percent.
    The proposed rule would not impose any additional reporting, 
recordkeeping, or other compliance requirements on small entities. In 
fact, because the proposed rule would eliminate a testing requirement, 
there would be a small reduction in some of the recordkeeping burden 
under 16 CFR part 1107 and 16 CFR part 1109 because manufacturers would 
no longer have to maintain records of third party phthalate tests for 
the component parts manufactured from these four plastics.
    A determination that specified plastics with accompanying additives 
used in children's toys and child care articles do not require third 
party testing is expected to be entirely beneficial to manufacturers 
and importers using those plastics in accessible component parts 
because manufacturers and importers could forego testing they otherwise 
would be required to conduct. However, staff believes the magnitude of 
that benefit is uncertain and could depend on factors such as:
     The extent to which manufacturers have already reduced 
their testing costs by using component part testing (as allowed in 16 
CFR part 1109);
     the volume of children's toys and child care articles that 
contain PE, PP, HIPS, or ABS;
     whether importers who certify children's products are 
unsure what plastics are being used in the toys and child care articles 
they import, so they could not take advantage of the determinations 
without additional testing to assure that a component part is composed 
of one of the four plastics.
    The Commission welcomes comments on the potential impact of the 
proposed rule on small entities. Comments are especially welcome on the 
following topics:
     The extent to which PP, PE, HIPS, or ABS are used in 
children's toys and child care articles, especially those manufactured 
or imported by small firms;
     The potential reduction in third party testing costs that 
might be provided by the Commission making the determinations, 
including the extent to which component part testing is already being 
used;

[[Page 54762]]

     Any situations or conditions in the proposed rule that 
would make it difficult to make use of the determinations to reduce 
third party testing costs; and
     Although the Commission expects that the impact of the 
proposed rule will be entirely beneficial, any potential negative 
impacts of the proposed rule.

5. Other Federal Rules

    We have not identified any Federal rules that duplicate or conflict 
with the proposed rule.

6. Alternatives Considered To Reduce the Burden on Small Entities

    Under section 603(c) of the RFA, an initial regulatory flexibility 
analysis should ``contain a description of any significant alternatives 
to the proposed rule which accomplish the stated objectives of the 
applicable statutes and which minimize any significant impact of the 
proposed rule on small entities.'' Because the proposed rule is 
intended to reduce the cost of third party testing on small businesses 
and will not impose any additional burden, the Commission did not 
consider alternatives to the proposed rule that would reduce the burden 
of this rule on small businesses.

G. Environmental Considerations

    The Commission's regulations provide a categorical exclusion for 
Commission rules from any requirement to prepare an environmental 
assessment or an environmental impact statement because they ``have 
little or no potential for affecting the human environment.'' 16 CFR 
1021.5(c)(2). This rule falls within the categorical exclusion, so no 
environmental assessment or environmental impact statement is required. 
The Commission's regulations state that safety standards for products 
normally have little or no potential for affecting the human 
environment. 16 CFR 1021.5(c)(1). Nothing in this rule alters that 
expectation.

List of Subjects in 16 CFR Part 1308

    Business and industry, Consumer protection, Imports, Infants and 
children, Product testing and certification, Toys.

0
Accordingly, the Commission proposes to amend Title 16 of the Code of 
Federal Regulations by adding part 1308 to read as follows:

PART 1308--PROHIBITION OF CHILDREN'S TOYS AND CHILD CARE ARTICLES 
CONTAINING SPECIFIED PHTHALATES: DETERMINATIONS REGARDING CERTAIN 
PLASTICS

Sec.
1308.1 Prohibited children's toys and child care articles containing 
specified phthalates and testing requirements.
1308.2 Determinations for specified plastics.

    Authority:  Sec. 3, Pub. L. 110-314, 122 Stat. 3016; 15 U.S.C. 
2063(d)(3)(B).


Sec.  1308.1  Prohibited children's toys and child care articles 
containing specified phthalates and testing requirements.

    Section 108(a) of the Consumer Product Safety Improvement Act of 
2008 (CPSIA) permanently prohibits any children's toy or child care 
article that contains concentrations of more than 0.1 percent of di-(2-
ethylhexl) phthalate (DEHP), dibutyl phthalate (DBP), or benzyl butyl 
phthalate (BBP). Section 108(b)(1) of the CPSIA prohibits on an interim 
basis any children's toy that can be placed in a child's mouth or child 
care article that contains concentrations of more than 0.1 percent of 
diisononyl phthalate (DINP), diisodecyl phthalate (DIDP), or di-n-octyl 
phthalate (DnOP). Materials used in children's toys and child care 
articles subject to section 108(a) and (b)(1) of the CPSIA must comply 
with the third party testing requirements of section 14(a)(2) of the 
Consumer Product Safety Act (CPSA), unless listed in Sec.  1308.2.


Sec.  1308.2  Determinations for specified plastics.

    (a) The following plastics do not exceed the phthalates content 
limits with a high degree of assurance as that term is defined in 16 
CFR part 1107:
    (1) Polypropylene (PP), with any of the following additives:
    (i) The plasticizers polybutenes, dioctyl sebacate, paraffinic oil, 
isooctyl tallate, mineral plasticizing oils, and polyol;
    (ii) Hydrocarbon solvents;
    (iii) Catalysts;
    (iv) Fillers;
    (v) Primary and secondary antioxidants;
    (vi) Neutralizing agents;
    (vii) Antistatic agents;
    (viii) Slip agents;
    (ix) Metal deactivators;
    (x) Quenchers;
    (xi) UV stabilizers;
    (xii) Nucleating agents;
    (xiii) Flame retardants;
    (xiv) Blowing or foaming agents;
    (xv) Antiblocking agents;
    (xvi) Lubricants; or
    (xvii) Colorants.
    (2) Polyethylene (PE), with any of the following additives:
    (i) The plasticizers glyceryl tribenzoate, polyethylene glycol, 
sunflower oil, paraffin wax, paraffin oil, mineral oil, glycerin, EPDM 
rubber, and EVA polymer;
    (ii) Initiators;
    (iii) Promoters;
    (iv) Catalysts;
    (v) Fillers;
    (vi) Antistatic agents;
    (vii) Flame retardants;
    (viii) Anti-blocking agents;
    (ix) Slip agents;
    (x) Blowing agents;
    (xi) Ccross-linking agents;
    (xii) Antioxidants;
    (xiii) Carbon black; or
    (xiv) Colorants.
    (3) High-impact polystyrene (HIPS), with any of the following 
additives:
    (i) Catalysts;
    (ii) Internal lubricants;
    (iii) Chain transfer/transition agents;
    (iv) Stabilizers;
    (v) Diluents;
    (vi) Colorants;
    (vii) Aluminum chloride, ethyl chloride, hydrochloric acid;
    (viii) Iron oxide, potassium oxide, chromium oxide; or
    (ix) Bifunctional peroxides.
    (4) Acrylonitrile butadiene styrene (ABS), with any of the 
following additives:
    (i) The plasticizers phosphate esters, long chain fatty acid esters 
and aromatic sulfonamide;
    (ii) Hydrocarbon solvents
    (iii) Stabilizers;
    (iv) Lubricants;
    (v) Antioxidants;
    (vi) Molecular weight regulators;
    (vii) Initiators/catalysts,
    (viii) Activators;
    (ix) Emulsifiers; or
    (x) Colorants.
    (b) Accessible component parts of children's toys and child care 
articles made with the specified plastics, and specified additives, 
listed in paragraph (a) of this section are not required to be third 
party tested pursuant to section 14(a)(2) of the CPSA and 16 CFR part 
1107.
    (c) Accessible component parts of children's toys and child care 
articles made with a plastic or additives not listed in paragraph (a) 
of this section are required to be third party tested pursuant to 
section 14(a)(2) of the CPSA and 16 CFR part 1107.

    Dated: August 11, 2016.
Todd A. Stevenson,
Secretary, Consumer Product Safety Commission.
[FR Doc. 2016-19464 Filed 8-16-16; 8:45 am]
 BILLING CODE 6355-01-P



                                                    54754               Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules

                                                    information associated with the Class C                   Authority: 49 U.S.C. 106(f), 106(g); 40103,           ADDRESSES:   You may submit comments,
                                                    airspace surface area and shelf.                        40113, 40120; E.O. 10854, 24 FR 9565, 3 CFR,            identified by Docket No. CPSC–2016–
                                                       Lastly, this action would update the                 1959–1963 Comp., p. 389.                                0017, by any of the following methods:
                                                    El Paso International Airport geographic                § 71.1       [Amended]
                                                                                                                                                                      Electronic Submissions: Submit
                                                    coordinates to reflect the current ARP                                                                          electronic comments to the Federal
                                                                                                            ■ 2. The incorporation by reference in                  eRulemaking Portal at: http://
                                                    information in the FAA’s aeronautical
                                                                                                            14 CFR 71.1 of the FAA Order 7400.9Z,                   www.regulations.gov. Follow the
                                                    database from ‘‘lat. 31°48′24″ N., long.
                                                                                                            Airspace Designations and Reporting                     instructions for submitting comments.
                                                    106°22′40″ W.’’ to ‘‘lat. 31°48′26″ N.,
                                                                                                            Points, dated August 6, 2015, and                       The Commission does not accept
                                                    long. 106°22′35″ W.’’
                                                                                                            effective September 15, 2015, is                        comments submitted by electronic mail
                                                       Class C airspace areas are published
                                                                                                            amended as follows:                                     (email), except through regulations.gov.
                                                    in paragraph 4000 of FAA Order
                                                    7400.9Z, dated August 6, 2015 and                                                                               The Commission encourages you to
                                                                                                            Paragraph 4000—Subpart C—Class C
                                                    effective September 15, 2015, which is                  Airspace                                                submit electronic comments by using
                                                    incorporated by reference in 14 CFR                                                                             the Federal eRulemaking Portal, as
                                                                                                            *        *      *      *       *                        described above.
                                                    71.1. The Class C airspace area
                                                    modification proposed in this document                  ASW TX C El Paso International Airport,                   Written Submissions: Submit written
                                                    would be published subsequently in the                  TX [Amended]                                            comments by mail/hand delivery/
                                                    Order.                                                  El Paso International Airport, TX                       courier to: Office of the Secretary,
                                                                                                              (Lat. 31°48′26″ N., long. 106°22′35″ W.)              Consumer Product Safety Commission,
                                                    Regulatory Notices and Analyses                           That airspace extending upward from the               Room 820, 4330 East West Highway,
                                                      The FAA has determined that this                      surface to and including 8,000 feet MSL                 Bethesda, MD 20814; telephone (301)
                                                    proposed regulation only involves an                    within a 5-mile radius of the El Paso                   504–7923.
                                                    established body of technical                           International Airport, excluding that airspace            Instructions: All submissions received
                                                                                                            west of long. 106°27′02″ W., and that airspace          must include the agency name and
                                                    regulations for which frequent and
                                                                                                            within Mexico; and that airspace extending              docket number. All comments received
                                                    routine amendments are necessary to                     upward from 5,200 feet MSL to and
                                                    keep them operationally current. It,                                                                            may be posted without change,
                                                                                                            including 8,000 feet MSL within a 10-mile               including any personal identifiers,
                                                    therefore: (1) Is not a ‘‘significant                   radius of the El Paso International Airport,
                                                    regulatory action’’ under Executive                                                                             contact information, or other personal
                                                                                                            excluding that airspace west of long.
                                                    Order 12866; (2) is not a ‘‘significant                 106°27′02″ W., and that airspace within                 information provided, to: http://
                                                    rule’’ under Department of                              Mexico.                                                 www.regulations.gov. Do not submit
                                                    Transportation (DOT) Regulatory                                                                                 confidential business information, trade
                                                                                                              Issued in Washington, DC, on August 10,               secret information, or other sensitive or
                                                    Policies and Procedures (44 FR 11034;                   2016.
                                                    February 26, 1979); and (3) does not                                                                            protected information that you do not
                                                                                                            M. Randy Willis,                                        want to be available to the public. If
                                                    warrant preparation of a regulatory                     Acting Manager, Airspace Policy Group.
                                                    evaluation as the anticipated impact is                                                                         furnished at all, such information
                                                                                                            [FR Doc. 2016–19556 Filed 8–16–16; 8:45 am]             should be submitted in writing by mail/
                                                    so minimal. Since this is a routine
                                                    matter that will only affect air traffic
                                                                                                            BILLING CODE 4910–13–P                                  hand delivery/courier.
                                                    procedures and air navigation, it is                                                                            FOR FURTHER INFORMATION CONTACT:
                                                    certified that this proposed rule, when                                                                         Randy Butturini, Project Manager,
                                                    promulgated, will not have a significant                CONSUMER PRODUCT SAFETY                                 Office of Hazard Identification and
                                                    economic impact on a substantial                        COMMISSION                                              Reduction U.S. Consumer Product
                                                    number of small entities under the                                                                              Safety Commission, 4330 East West
                                                                                                            16 CFR Part 1308                                        Hwy., Room 814, Bethesda, MD 20814;
                                                    criteria of the Regulatory Flexibility Act.
                                                                                                            [Docket No. CPSC–2016–0017]                             301–504–7562: email; rbutturini@
                                                    Environmental Review                                                                                            cpsc.gov.
                                                       This proposal will be subject to an                  Prohibition of Children’s Toys and                      SUPPLEMENTARY INFORMATION:
                                                    environmental analysis in accordance                    Child Care Articles Containing
                                                    with FAA Order 1050.1F,                                 Specified Phthalates: Determinations                    A. Background
                                                    ‘‘Environmental Impacts: Policies and                   Regarding Certain Plastics                              1. Third Party Testing and Burden
                                                    Procedures’’ prior to any FAA final                     AGENCY: U.S. Consumer Product Safety                    Reduction
                                                    regulatory action.                                      Commission.                                                Section 14(a) of the Consumer
                                                    List of Subjects in 14 CFR Part 71                      ACTION: Notice of proposed rulemaking.                  Product Safety Act, (CPSA), as amended
                                                                                                                                                                    by the Consumer Product Safety
                                                     Airspace, Incorporation by reference,                  SUMMARY:   The Consumer Product Safety                  Improvement Act of 2008 (CPSIA),
                                                    Navigation (air).                                       Commission (Commission, or CPSC) is                     requires that manufacturers of products
                                                    The Proposed Amendment                                  proposing a rule to determine that                      subject to a consumer product safety
                                                                                                            certain plastics with specified additives               rule or similar rule, ban, standard, or
                                                      In consideration of the foregoing, the                would not contain the specified
                                                    Federal Aviation Administration                                                                                 regulation enforced by the CPSC, must
                                                                                                            phthalates prohibited in children’s toys                certify that the product complies with
                                                    proposes to amend 14 CFR part 71 as                     and child care articles. Based on these                 all applicable CPSC-enforced
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                                                    follows:                                                determinations, the specified plastics                  requirements. 15 U.S.C. 2063(a). For
                                                    PART 71—DESIGNATION OF CLASS A,                         with specified additives would not                      children’s products, certification must
                                                    B, C, D, AND E AIRSPACE AREAS; AIR                      require third party testing for                         be based on testing conducted by a
                                                    TRAFFIC SERVICE ROUTES; AND                             compliance with the mandatory                           CPSC-accepted third party conformity
                                                    REPORTING POINTS                                        phthalates prohibitions on children’s                   assessment body. Id. Public Law 112–28
                                                                                                            toys and child care articles.                           (August 12, 2011) directed the CPSC to
                                                    ■ 1. The authority citation for part 71                 DATES: Submit comments by October 31,                   seek comment on ‘‘opportunities to
                                                    continues to read as follows:                           2016.                                                   reduce the cost of third party testing


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                                                                         Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules                                           54755

                                                    requirements consistent with assuring                   permanent, and proposing to lift the                   approach resulted in a comprehensive
                                                    compliance with any applicable                          interim statutory prohibitions on DIDP                 review of the available literature that is
                                                    consumer product safety rule, ban,                      and DnOP in children’s toys and child                  representative of the information
                                                    standard, or regulation.’’ Public Law                   care articles. In addition, the NPR                    available on the potential for the
                                                    112–28 also authorized the Commission                   proposed adding four new phthalates to                 presence of any of the 11 phthalates in
                                                    to issue new or revised third party                     the prohibited list of phthalates that                 the 4 specified plastics.
                                                    testing regulations if the Commission                   cannot exceed 0.1 percent concentration
                                                    determines ‘‘that such regulations will                                                                          TERA screened over 119,800 studies
                                                                                                            in accessible component parts of
                                                    reduce third party testing costs                        children’s’ toys and child care articles.              identified by the above described tiered
                                                    consistent with assuring compliance                     Table 2 contains the list of phthalates                search method for relevance to the 11
                                                    with the applicable consumer product                    that the NPR proposed to prohibit in                   phthalates and 4 plastics. CPSC staff
                                                    safety rules, bans, standards, and                      children’s toys and child care articles.               reviewed the information provided in
                                                    regulations.’’ Id. 2063(d)(3)(B).                                                                              the contractor report and formulated
                                                                                                                  TABLE 2—PROPOSED PROHIBITED                      recommendations for Commission
                                                    2. Prohibitions in Section 108 of the                                                                          consideration based on TERA’s
                                                    CPSIA                                                                 PHTHALATES
                                                                                                                                                                   research.
                                                       Section 108 of the CPSIA prohibits                                        Phthalates                          The plastics researched by TERA
                                                    children’s toys and child care articles
                                                                                                                                                                   were:
                                                    that contain six specified phthalates in                 DEHP: di-(2-ethylhexyl) phthalate
                                                    concentrations above 0.1 percent in                      DBP: dibutyl phthalate                                  • Polypropylene (PP);
                                                    ‘‘accessible plasticized component parts                 BBP: benzyl butyl phthalate                             • Polyethylene (PE);
                                                    and other component parts made of                        DINP: diisononyl phthalate
                                                                                                             DIBP: diisobutyl phthalate                              • High-impact polystyrene (HIPS);
                                                    materials that may contain phthalates.’’
                                                                                                             DPENP: di-n-pentyl phthalate                          and
                                                    The prohibited phthalates in section 108                 DHEXP: di-n-hexyl phthalate
                                                    of the CPSIA are listed in Table 1.                                                                              • Acrylonitrile butadiene styrene
                                                                                                             DCHP: dicyclohexyl phthalate
                                                    Children’s toys and child care articles                                                                        (ABS).
                                                    subject to the content limits in section                B. Contractor’s Research on Phthalates                   TERA’s research included the
                                                    108 of the CPSIA require third party                    in Consumer Products                                   following factors:
                                                    testing for compliance with the
                                                    phthalate content limits before the                        CPSC contracted with Toxicology                       • The raw materials used in the
                                                    manufacturer can issue a Children’s                     Excellence for Risk Assessment (TERA)                  production of the specified plastics;
                                                    Product Certificate (CPC) and enter the                 to conduct research on phthalates and                    • The manufacturing processes used
                                                    children’s toys or child care articles into             provide CPSC with two research reports                 worldwide to produce the plastics;
                                                    commerce.                                               on phthalates relevant to this
                                                                                                            rulemaking. TERA conducted a                             • Typical applications for the
                                                                                                            literature search on the production and                specified plastics in consumer products,
                                                      TABLE 1—STATUTORILY PROHIBITED                                                                               especially toys and child care articles,
                                                               PHTHALATES                                   use of 11 specified phthalates in
                                                                                                            consumer products (Task 11 Report).3                   focusing on circumstances where the
                                                                                                            The 11 phthalates researched by TERA                   plastic could contain phthalates at
                                                       Permanent prohibition on phthalates in
                                                                                                            are based on the phthalates assessed by                concentrations greater than 0.1 percent;
                                                        children’s toys and child care articles
                                                                                                            the CHAP and the recommendations                         • The potential use of recycled
                                                      DEHP: di-(2-ethylhexyl) phthalate                     made in the CHAP report. Additionally,                 materials containing the specified
                                                      DBP: dibutyl phthalate                                the CPSC contracted with TERA to                       phthalates in the production of the
                                                      BBP: benzyl butyl phthalate                           conduct a literature search on whether                 plastics; and
                                                                                                            specified plastics could be determined
                                                         Interim prohibition on phthalates in                                                                        • The potential for phthalate
                                                        children’s toys and child care articles             not to contain any of the 11 phthalates
                                                                                                            in concentrations above the CPSIA limit                contamination during packaging,
                                                      DINP: diisononyl phthalate                            of 0.1 percent (Task 12 Report).4                      storage, use, or other factors.
                                                      DIDP: diisodecyl phthalate                               TERA used a tiered literature research              C. CPSC Staff Analysis
                                                      DnOP: di-n-octyl phthalate                            approach to identify sources for review
                                                                                                            from among the ‘‘universe’’ of available               1. Polypropylene (PP)
                                                      The CPSIA required the Commission                     data. The tiers were used to provide a
                                                    to appoint a Chronic Hazard Advisory                    structured search method to locate                       TERA’s research indicated the
                                                    Panel (CHAP) to ‘‘study the effects on                  relevant sources and eliminate                         production of PP plastic uses a PP
                                                    children’s health of all phthalates and                 unrelated material. TERA used books,                   monomer, ethylene, and other
                                                    phthalate alternatives as used in                       factsheets, journal articles, patents, and             monomers, a hydrocarbon solvent,
                                                    children’s toys and child care articles.’’              other sources as primary and secondary                 catalysts, nucleating agents or fillers,
                                                    The CHAP issued its report in July                      literature sources. The use of this tiered             and a number of other additives,
                                                    2014.1 Based on the CHAP report, the                                                                           depending on the type of PP and other
                                                    Commission published a notice of                          3 http://www.cpsc.gov//Global/Research-and-          manufacturing considerations.
                                                    proposed rulemaking (NPR) 2 proposing                   Statistics/Technical-Reports/                          Additives can be included in PP to
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                                                    to make the interim prohibition on DINP                 Other%20Technical%20Reports/
                                                                                                            TERAReportPhthalates.pdf. The work was
                                                                                                                                                                   achieve various chemical and
                                                    in children’s toys and child care articles              conducted as a task order (Task 11) under CPSC         mechanical characteristics. PP can
                                                                                                            contract CPSC–D–12–0001.                               include the following additives:
                                                      1 http://www.cpsc.gov/PageFiles/169902/CHAP-            4 http://www.cpsc.gov//Global/Research-and-
                                                    REPORT-With-Appendices.pdf.                             Statistics/Technical-Reports/                            • Hydrocarbon solvents: Examples of
                                                      2 https://www.federalregister.gov/articles/2014/      Other%20Technical%20Reports/                           solvents used are hexane and heptane;
                                                    12/30/2014-29967/prohibition-of-childrens-toys-         ReportonPhthalatesinFourPlastics.pdf. The work
                                                    and-child-care-articles-containing-specified-           was conducted as a task order (Task 12) under
                                                    phthalates.                                             CPSC contract CPSC–D–12–0001.



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                                                    54756                Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules

                                                       • Catalysts: 5 Catalysts used in                        • Nucleating agents: Nucleating                    contributes an electron to the chemical
                                                    producing PP are the Ziegler-Natta                      agents are additives that increase the                reaction), such as DBP, DIBP or DEHP.
                                                    catalysts; 6                                            crystallization of a plastic from a liquid            As described in the Task 12 Report,
                                                       • Fillers: Fillers are added to plastics             solution. Examples of nucleating agents               these catalysts may survive the plastic’s
                                                    to enhance their performance (e.g.,                     for PP include carboxylic acids, benzyl               polymerization process, and the
                                                    impact resistance, shrink resistance),                  sorbitols, and salts of organic                       phthalates may be present in the final
                                                    and reduce manufacturing costs.                         phosphates;                                           plastic pellets, theoretically at
                                                    Examples of fillers used in PP include                     • Flame retardants: Examples of                    concentrations of about 1 mg/kg (1 part
                                                    talc, calcium carbonate, and fiberglass;                flame retardants include brominated                   per million, ‘‘ppm’’). The Task 12
                                                       • Primary antioxidants: Antioxidants                 flame retardants, cycloaliphatic                      Report references an industry analysis
                                                    inhibit oxidative deterioration of a                    chlorines; antimony trioxide, ferric                  in the context of European regulations
                                                    material. Primary antioxidants donate                   oxide, zinc oxide, zinc borate, barium                that indicates that phthalate
                                                    hydrogen atoms to prevent free radical                  metaborates; phosphorus flame                         concentrations in PP do not exceed 0.15
                                                    creation. Examples of primary                           retardants, magnesium hydroxide, and                  mg/kg (0.15 ppm) and are often below
                                                    antioxidants include hindered phenol,                   aluminum hydroxide;                                   the measurement threshold of the
                                                    such as butylated hydroxytoluene, and                      • Blowing or foaming agents: Blowing               analytical method of 0.01 mg/kg (0.01
                                                    hindered amine light stabilizers;                       and foaming agents create gas bubbles                 ppm).
                                                       • Secondary antioxidants: Secondary                  during molding, resulting in a foamed
                                                    antioxidants prevent degradation by                     plastic. Examples of blowing and                      2. Polyethylene (PE)
                                                    breaking down free radicals and                         foaming agents include sodium                            TERA’s research indicated that PE is
                                                    hydroperoxides, and synergize with the                  bicarbonate, sodium borohydride,                      manufactured using PE monomers or
                                                    primary antioxidants. Examples of                       polycarbonic acid, citric acid,                       certain copolymers or other monomers,
                                                    secondary antioxidants include                          4,4′oxybis(benzenesulfonyl hydrazide),                and a number of additives. Additives
                                                    phosphites and thioesters;                              azodicarbonamide, or para-                            can be included in PE to achieve various
                                                       • Neutralizing agents: Neutralizing                  toluenesulfonyl semicarbazide;                        chemical and mechanical
                                                    agents adjust the acidity of the                           • Antiblocking agents: Antiblocking                characteristics. PE can include the
                                                    chemicals during production, and can                    agents are used to prevent plastic films              following additives:
                                                    include calcium and zinc stearate,                      from sticking together through cold flow
                                                    zeolites, calcium and zinc oxides, and                                                                           • Plasticizers: 7 Examples of
                                                                                                            or static electricity. Examples of
                                                    metallic salts of lactic or benzoic acid;               antiblocking agents include natural and               plasticizers for PE include glyceryl
                                                       • Antistatic agents: Antistatic agents               manufactured waxes, metallic salts of                 tribenzoate, polyethylene glycol,
                                                    reduce the buildup of static electricity,               fatty acids, silica compounds, and some               sunflower oil, paraffin wax, paraffin oil,
                                                    and can include cationic compounds,                     polymers (e.g., polyvinyl alcohol,                    mineral oil, glycerin, EPDM rubber,
                                                    anionic compounds, and nonionic                         polyamides, polyethylene,                             EVA polymer, DOP; 8
                                                    compounds;                                              polysiloxanes, and fluoroplastics);                      • Initiators: Initiators help form the
                                                       • Slip agents: Slip agents are added to                 • Lubricants: Lubricants are used in               plastic macromolecules from the
                                                    reduce a plastic surface’s coefficient of               PP (and other plastics) to lower the                  solution. Examples of PE initiators are
                                                    friction. Examples of slip agents include               molten material’s coefficient of viscosity            benzoyl peroxide, azodi-
                                                    modified fatty acids or fatty amides;                   and prevent the plastic from sticking to              isobutyronitrile, and oxygen;
                                                       • Metal deactivators: Transition                     metal surfaces. The lubricants allow the                 • Promoters: Promoters in PE
                                                    metals like copper and iron can                         plastic’s hydrocarbon chains to slip past             improve paint adhesion and resistance
                                                    accelerate plastic degradation. Metal                   each other in the melt. Examples of                   to some solvents. PE promoters include
                                                    deactivators, such as N,N′-                             lubricants include metal soaps,                       sodium and calcium (in metal or
                                                    dibenzaloxaldihydrazide, combine with                   hydrocarbon waxes, polyethenes, amide                 hydride form);
                                                    the metal ions and prevent catalytic                    waxes, fatty acids, and fatty alcohols,                  • Catalysts: Catalysts for PE include
                                                    degradation of the plastic;                             (e.g., calcium or zinc stearates); or                 the Ziegler-Natta catalysts, and
                                                       • Quenchers: Quenchers scavenge                         • Colorants: Colorants for plastics                metallocene catalysts (e.g., zirconium,
                                                    stray free radicals and decompose                       typically consist of dyes, in which the               titanium);
                                                    unwanted peroxides. Examples of                         color-producing material is dissolved in                 • Fillers: silane and titanate coupling
                                                    quenchers are organic nickel complexes,                 a carrier medium, and pigments, in                    agents are used as fillers in PE;
                                                    nickel salts of thiocarbamate, and nickel               which very small particles of the color-                 • Antistatic agents: PE antistatic
                                                    complexes with alkylated phenol                         producing material are suspended in the               agents include polyethylene glycol alkyl
                                                    phosphonates;                                           carrier medium. Examples of colorants
                                                       • UV stabilizers: Ultraviolet (UV)                                                                         esters;
                                                                                                            used in PP include heavy metal-based
                                                    stabilizers are added to PP to protect the              oxides, sulfides, chromates, and other                   7 The Task 12 Report indicated that several
                                                    plastic from degradation in sunlight.
                                                                                                            complexes, including cadmium, zinc,                   prohibited phthalates are used as plasticizers in PE.
                                                    Examples of UV stabilizers are hindered                                                                       CPSC staff reviewed the report’s references for this
                                                                                                            titanium, lead, molybdenum; and
                                                    amine light stabilizers, carbon black,                                                                        information. As cited in the Task 12 Report, Bhunia
                                                                                                            ultramines (sulfide-silicate complexes
                                                    titanium dioxide, zinc oxide, derivatives                                                                     et al. (2013) reported several phthalates used in
                                                                                                            containing sodium and aluminum; azo                   food packaging plastic films, including PE,
                                                    of benzophenone, benzotriazoles,
                                                                                                            pigments).                                            referencing Sablani and Rahman (2007). In the latter
                                                    phenyl, aryl, or acrylic esters,                           The research showed that among all                 reference, staff did not find any support for the
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                                                    formamidines, and oxanilides;                           of these raw materials and additives,                 claimed uses of phthalates. In fact, in the section
                                                                                                                                                                  on plasticizers, Sablani and Rahman (2007) stated
                                                       5 The Merriam-Webster online dictionary defines
                                                                                                            only Ziegler-Natta catalysts may contain              that most plasticizers are used in PVC and that as
                                                    a ‘‘catalyst’’ as ‘‘a substance that causes or          one or more of the prohibited                         a result of studies on migration of plasticizers from
                                                    accelerates a chemical reaction without itself being    phthalates. Ziegler-Natta catalysts are               food packaging, ‘‘. . . industry has replaced PVC
                                                    affected.’’ A catalyst is not consumed, altered, or     generally titanium-based catalyst                     with other polymers, such as PE or regenerated
                                                    incorporated into one of the reaction’s products.                                                             cellulose not associated with plasticizers.’’
                                                       6 A Ziegler–Natta catalyst, named after Karl
                                                                                                            systems in combination with an                        (emphasis added)
                                                    Ziegler and Giulio Natta, is a class of catalyst used   organoaluminum co-catalyst, and an                       8 The isomer of DOP was not specified. DOP can

                                                    in the production of some plastics.                     internal donor (a molecule that                       include DEHP.



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                                                                        Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules                                                 54757

                                                       • Flame retardants: PE flame                         in HIPS to achieve various chemical and                  • Lubricants: ABS lubricants include
                                                    retardants include antimony trioxide,                   mechanical characteristics. HIPS can                  metallic stearates, montan waxes or
                                                    and halogenated substances;                             include the following additives:                      amide waxes; 9
                                                       • Anti-blocking agents: Fine silicas                    • Catalysts: The Ziegler-Natta                        • Antioxidants: Phenolic-based or
                                                    are an example of a PE antiblocking                     catalysts;                                            phosphate-based antioxidants are used
                                                    agent;                                                     • Internal lubricant: Zinc stearate is a           in the manufacture of ABS;
                                                       • Slip agents: PE slip agents include                lubricant for HIPS;                                      • Molecular weight regulator: An
                                                    fatty acid amides such as oleamide and                     • Chain transfer/transition agent:                 example of an ABS molecular-weight
                                                    erucamide;                                                                                                    regulator is tert-dodecyl mercaptan;
                                                                                                            Chain transfer/transition agents regulate
                                                       • Blowing agents: PE blowing agents                                                                           • Initiators/catalysts: ABS initiators
                                                                                                            the length of the HIPS macromolecules.
                                                    include 4,4′-oxybisbenzenesulfono-                                                                            and catalysts include potassium
                                                                                                            HIPS chain transfer/transition agents                 persulfate, sodium persulfate, oil-
                                                    hydrazine and azocarbonamide;                           include tertdocecylmercaptan and
                                                       • Cross-linking agents: Cross-linking                                                                      soluble initiators in a redox system
                                                                                                            liquid paraffin;                                      (cumene hydroperoxide, sodium
                                                    agents set up chemical bonds between
                                                    the plastic macromolecules and assists                     • Stabilizer: Tert-butylcatechol is a              pyrophosphate, dextrose, and iron (II)
                                                    in ‘‘curing’’ the plastic. Examples of                  stabilizer for HIPS;                                  sulfate);
                                                    cross-linking agents include dicumyl                       • Diluents: Diluents are used to                      • Activators: Activators prepare the
                                                    peroxide, and vinyl silanes;                            reduce the concentration of a plastic as              ABS surface for electroplating. The
                                                       • Antioxidants: PE antioxidants                      a means to reduce the plastic’s viscosity             activators in ABS are often palladium
                                                    include 4-methyl-2,6-t-butyl phenol,                    and to modify its processing conditions.              and tin salts in an acid solution; 10
                                                    1,1,3-tris-(4-hydroxy-2-methyl-5-                       Examples of HIPS diluents include                        • Emulsifiers: Emulsifiers are
                                                    butylphenyl)butane, bis-[2-hydroxy-5-                   ethylbenzene, and toluene; or                         chemicals that promote the mixing of
                                                    methyl-3-(1-methylcyclohexyl)phenyl]-                      • Colorants: HIPS colorants include                hydrophilic and hydrophobic materials.
                                                    methane, and dilauryl-b,b′-                             azo dyes, anthraquinone dyes, perinone                ABS emulsifiers include salts of rosin,
                                                    thiodipropionate;                                       dyes, or xanthene dyes.                               fatty sodium lauryl sulfate, and oleate;
                                                       • Carbon black; or                                      • Other additives: Additional                         • Colorants: ABS colorants include
                                                       • Colorants: PE colorants are often                  materials used in the manufacture of                  phthalocyanines, perylenes,
                                                    based on cobalt, cadmium, and                           HIPS include:                                         cromophtals, titanium dioxide, carbon
                                                    manganese.                                                 Æ Aluminum chloride, ethyl chloride,               black, black iron oxide, ultramarine
                                                       As with PP, PE catalysts include an                  hydrochloric acid;                                    blue, red iron oxide, and aluminum
                                                    internal donor, such as DBP, DIBP, or                      Æ Iron oxide, potassium oxide,                     flake.11
                                                    DEHP, although the phthalate                            chromium oxide; and                                   5. Additional CPSC Staff Research
                                                    concentration in the final plastic is                      Æ Bifunctional peroxides.
                                                    generally well below 0.15 mg/kg (0.15                                                                            TERA’s research did not include an
                                                                                                               As with PP and PE, the polybutadiene               examination of the colorants in
                                                    ppm).                                                   used in HIPS production is made with
                                                       One reference in the Task 12 report                                                                        polyethylene, high-impact polystyrene,
                                                                                                            the use of catalysts that include an                  or acrylonitrile butadiene styrene.
                                                    indicated that DOP can be used as a                     internal donor, such as DBP, DIBP, or
                                                    plasticizer in PE. Staff reviewed the                                                                         TERA’s research also did not include an
                                                                                                            DEHP. Although no testing for phthalate               examination of the lubricants,
                                                    cited references, as well as citations                  content was located, because the use of
                                                    within the references, and found that                                                                         activators, and antioxidants that could
                                                                                                            phthalate in HIPS is as a catalyst, the               be used in the production of ABS. CPSC
                                                    uses of DOP in PE are mentioned in                      concentration in the final product is
                                                    patents for specialized materials with no                                                                     staff conducted additional research into
                                                                                                            expected to be well below 0.1 percent.                these component parts of the plastics.
                                                    known current consumer product
                                                    application, or may be used in                          4. Acrylonitrile Butadiene Styrene (ABS)              6. Potential Phthalate Use in the Four
                                                    materials, such as pavement marking,                       TERA’s research indicated that ABS                 Plastics
                                                    which are not children’s products. One                  plastic is manufactured with specific                    The Task 11 Report indicates that
                                                    cited patent described use of phthalates                monomers, such as acrylonitrile,                      phthalates are used generally as
                                                    in a PE microporous film used as an                     butadiene, and styrene, trans-1,4-                    plasticizers or softeners of certain
                                                    internal separator for lithium ion                      butadiene, cis-1,4-butadiene, and 1,2-                plastics, primarily polyvinyl chloride
                                                    batteries.                                              butadiene. Additives are included in                  (PVC), as solvents, and as components
                                                       The Task 12 Report cited a patent for                ABS to achieve various chemical and                   of inks, paints, adhesives, and sealants.
                                                    a material made with PE plastic and                     mechanical characteristics. ABS can                   Except for the general category of inks
                                                    DBP for use as a surface for outdoor                    include the following additives:                      and colorants, the Task 11 Report did
                                                    athletic track, basketball, volleyball, and
                                                                                                               • Plasticizers: ABS plasticizers                   not indicate uses of the prohibited
                                                    playgrounds. CPSC staff found no                                                                              phthalates in any of the four plastics, in
                                                                                                            include hydrocarbon processing oil,
                                                    information indicating that such a                                                                            the raw materials, or in the types of
                                                                                                            triphenyl phosphate, resorcinol
                                                    product has been manufactured and                                                                             additives that might be used in the four
                                                                                                            bis(diphenyl phosphate), oligomeric
                                                    marketed for consumer use.                                                                                    plastics.
                                                                                                            phosphate, long chain fatty acid esters,
                                                    Furthermore, the applications for the                                                                            The four plastics may also be used as
                                                                                                            and aromatic sulfonamide;
                                                    material do not include children’s toys                                                                       ingredients in a variety of materials. For
                                                    or child care articles that are subject to                 • Hydrocarbon solvents: hexane,
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                                                    the phthalate content restrictions.                     heptane, and ethyl benzene;
                                                                                                                                                                    9 The TERA Task 12 Report did not specify ABS
                                                                                                               • Stabilizers against heat or light                lubricants. CPSC staff supplemented the Task 12
                                                    3. High-Impact Polystyrene (HIPS)                       degradation: Stabilizer examples                      Report with additional research.
                                                       TERA’s research indicated that HIPS                  include phenolic antioxidants, thiol-                   10 The TERA Task 12 Report did not specify ABS

                                                    is a plastic blend generally produced                   containing antioxidants, phosphites,                  activators. CPSC staff supplemented the Task 12
                                                                                                            thioesters, substituted benzophenones                 Report with additional research.
                                                    from styrene, polybutadiene rubber,                                                                             11 The TERA Task 12 Report did not specify ABS
                                                    benzene, and a number of other                          and benzotriazoles, and hindered                      colorants. CPSC staff supplemented the Task 12
                                                    substances. Additives can be included                   amines;                                               Report with additional research.



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                                                    54758               Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules

                                                    example, PP may be used in                              plastics are produced. However, the                   of the TERA task reports, nor research
                                                    formulations for concrete, paints, and                  Task 11 Report describes uses of                      by CPSC staff found that phthalates are
                                                    lubricating grease. These materials                     phthalates in materials on these plastics,            used as a component part of the four
                                                    would not be considered to be PP                        such as coatings, inks, and adhesives.                plastics. In the case of the phthalate
                                                    plastic. PE, HIPS, ABS also may be used                 Because consumer products purchased                   catalysts used in plastics manufacturing,
                                                    as additives in materials that would not                in stores likely consist of a number of               the phthalate concentration in finished
                                                    be considered plastics.                                 different component parts, some of                    plastics is significantly below the
                                                       The TERA Task 11 and Task 12                         which may have contained phthalates,                  maximum allowable concentration.
                                                    Reports indicate that the phthalates                    the studies described above should not                  The two TERA task reports and CPSC
                                                    researched are not associated with the                  be considered to be evidence that                     staff research show that very little
                                                    chemistry and applications of the                       phthalates were used in the                           information exists that indicates that
                                                    plastics PP, PE, HIPS, or ABS. When                     manufacture of the PP, PE, HIPS, or ABS               manufactured PP, PE, HIPS, and ABS
                                                    these plastics are plasticized, materials               plastic component parts of consumer                   plastics could contain the researched
                                                    other than the phthalates are used as                   products subject to the phthalate                     phthalates. The research located
                                                    plasticizers (e.g., hydrocarbon                         content restrictions.                                 references, including patents, for
                                                    processing oil, phosphate esters, long                                                                        uncommon and specialized products,
                                                    chain fatty acid esters, and aromatic                   8. Phthalates in Recycled Materials
                                                                                                                                                                  and products that generally do not have
                                                    sulfonamide for ABS). TERA found one                       All four plastics may be recycled and              applications to children’s toys and child
                                                    reference in which DnOP (also referred                  reprocessed into new products.                        care articles.
                                                    to as DOP) was used as a plasticizer for                However, degradation of the original                    Staff found no evidence that
                                                    PE. However, the only application cited                 plastics during the recycling process                 phthalates are present at concentrations
                                                    was a patent for a microporous plastic                  and mixing with other plastics or                     above 0.1 percent in any of the four
                                                    film used in the production of lithium-                 materials in the recycling steam can                  plastics (either virgin or using recycled
                                                    ion batteries. TERA’s research included                 reduce the quality of the recovered                   material) for consumer products,
                                                    references prior to and after the                       plastic and limit further commercial                  especially children’s products.
                                                    enactment of the CPSIA, none of which                   uses. In some cases, recovered plastics
                                                    indicated any phthalate use in the four                 are mixed with virgin plastics to                     D. Determinations for Specified Plastics
                                                    plastics.                                               improve the products’ quality and                     1. Legal Requirements for a
                                                                                                            utility. The Task 12 Report indicated                 Determination
                                                    7. Studies Where Phthalates Were                        that few studies were located for
                                                    Detected                                                analysis of phthalates in recycled                       As noted above, section 14(a)(2) of the
                                                       TERA’s investigation of the uses of                  plastics. One study found no phthalates               CPSA requires third party testing for
                                                    the four plastics shows that all four are               in recycled PP carpet. Two studies                    children’s products that are subject to a
                                                    used to make plastic consumer products                  analyzed solid waste consisting of PP or              children’s product safety rule. 15 U.S.C.
                                                    and component parts. None of these                      PE. One study reported detection of                   2063(a)(2). Children’s toys and child
                                                    applications specifically includes                      phthalates in recovered waste PP and PE               care articles must comply with the
                                                    phthalates, although a few studies of the               material, but not in samples of virgin PP             phthalates prohibitions in section 108 of
                                                    phthalate content of products were                      or PE plastic. The other study reported               the CPSIA. 15 U.S.C. 2057c. In response
                                                    located.                                                phthalates in recovered PE. The authors               to statutory direction, the Commission
                                                       Several studies evaluated food,                      of the latter study suggested that the                has investigated approaches that would
                                                    beverage, and cosmetics packaging                       source of phthalates could have been                  reduce the burden of third party testing
                                                    made with PP, PE, and polystyrene (PS).                 the products that had been in contact                 while also assuring compliance with
                                                    These studies generally measured                        with the plastic.                                     CPSC requirements. As part of that
                                                    migration of specified chemicals,                          HIPS and ABS are generally used as                 endeavor, the Commission has
                                                    including phthalates, from products                     rigid materials; available information                considered whether certain materials
                                                    purchased in retail stores. The                         does not indicate use of phthalates in                used in children’s toys and child care
                                                    references provided few or no details                   such materials or associated with                     articles would not require third party
                                                    about all the materials used in the                     recycled HIPS or ABS.                                 testing.
                                                    products, including whether other                          Some studies indicated the potential                  To issue a determination that a plastic
                                                    plastics were present, whether other                    for low, but detectable, levels of                    (including specified additives) does not
                                                    component parts were present such as                    phthalates in plastics, such as PP or PE              require third party testing, the
                                                    coatings, finishes, inks, or adhesives, or              packaging that contained or had been in               Commission must have sufficient
                                                    whether residues of the contained                       contact with a phthalate-containing                   evidence to conclude that the plastic
                                                    products were present.                                  product. Products made with such                      and specified additives would
                                                       The Task 12 Report also cited a                      materials could contain residual                      consistently comply with the CPSC
                                                    Korean study of various products that                   phthalates, although at levels well                   requirement to which the plastic (and
                                                    reported low levels of phthalates in a                  below the maximum allowed                             specified additives) is subject so that
                                                    toy car made with ABS. The study                        concentration in children’s products.12               third party testing is unnecessary to
                                                    provided no details about other                         9. Staff Conclusions Based on TERA                    provide a high degree of assurance of
                                                    materials used in the product, including                Research                                              compliance. Under 16 CFR part 1107
                                                    whether other plastics were present, or                                                                       section 1107.2, ‘‘a high degree of
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                                                    whether other component parts were                         With the exception of the catalysts for            assurance’’ is defined as ‘‘an evidence-
                                                    present such as coatings, finishes, inks,               polymerization, and certain, specific                 based demonstration of consistent
                                                    or adhesives.                                           uses of phthalates in products without                performance of a product regarding
                                                       The Task 12 Report’s detailed                        consumer product applications, neither                compliance based on knowledge of a
                                                    description of the raw materials and                      12 The highest level recorded by Huber and Franz
                                                                                                                                                                  product and its manufacture.’’
                                                    manufacturing processes for PP, PE,                     was 200 ppm for one sample of DBP. The other
                                                                                                                                                                     For a material determination, a high
                                                    HIPS, and ABS plastics showed that                      samples’ concentrations ranged from 3.1 to 96.3       degree of assurance of compliance
                                                    phthalates are not present after these                  ppm.                                                  means that the material will comply


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                                                                         Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules                                           54759

                                                    with the specified chemical limits due                   to reduce the third party testing burden             DIDP, DnOP) in concentrations above
                                                    to the nature of the material or due to                  on children’s product certifiers while               0.1 percent, and thus, are not required
                                                    a processing technique that reduces the                  continuing to assure compliance.                     to be third party tested to assure
                                                    chemical concentration below its limit.                                                                       compliance with section 108 of the
                                                                                                             2. Statutory Authority
                                                    For materials determined to comply                                                                            CPSIA. As discussed in section A.2 of
                                                    with a chemical limit, the material must                    Section 3 of the CPSIA grants the                 the preamble, the agency is currently
                                                    continue to comply with that limit if it                 Commission general rulemaking                        involved in rulemaking to determine
                                                    is used in a children’s product subject                  authority to issue regulations, as                   whether to continue the interim
                                                    to that requirement. A material on                       necessary, to implement the CPSIA.                   prohibitions in section 108 and whether
                                                    which a determination has been made                      Public Law 110–314, sec. 3, Aug. 14,                 to prohibit any other children’s
                                                    cannot be altered or adulterated to                      2008. As noted previously, section 14 of             products containing any other
                                                    render it noncompliant and then used in                  the CPSA, which was amended by the                   phthalates. TERA’s examination covered
                                                    a children’s product.                                    CPSIA, requires third party testing for              all phthalates that are subject to the
                                                       Phthalates are not naturally occurring                children’s products subject to a                     current permanent and interim
                                                    materials, but are intentionally created                 children’s product safety rule. 15 U.S.C.            prohibitions, as well as the additional
                                                    and used in specific applications (e.g.,                 2063(a)(2). Section 14(d)(3)(B) of the               phthalates the Commission proposed
                                                    plastics, surface coatings, solvents, inks,              CPSA, as amended by Public Law 112–                  restricting in the phthalates proposed
                                                    adhesives, and some rubberized                           28, gives the Commission the authority               rule. If the Commission issues a final
                                                    materials). One application of                           to ‘‘prescribe new or revised third party            rule in the phthalates rulemaking before
                                                    phthalates in children’s toys and child                  testing regulations if it determines that            finalizing this determinations
                                                    care articles is as a plasticizer, or                    such regulations will reduce third party             rulemaking, the Commission would
                                                    softener for plastic component parts.13                  testing costs consistent with assuring               modify the determinations proposed
                                                    The addition of a plasticizer converts an                compliance with the applicable                       rule so that the determinations rule
                                                    otherwise rigid plastic into a more                      consumer product safety rules, bans,                 covers the same phthalates restricted by
                                                    flexible form, such as in a child’s rubber               standards, and regulations.’’ Id.                    the final phthalates rule.
                                                    duck or a soft plastic doll. Because                     2063(d)(3)(B). These statutory                          Section 1308.1 of the proposed rule
                                                    plastics can contain the prohibited                      provisions authorize the Commission to               explains the statutorily-created
                                                    phthalates, third party testing is                       issue a rule determining that specified              requirements for children’s toys and
                                                    required before a CPC can be issued for                  plastics and additives will not exceed               child care articles under section 108 of
                                                    children’s toys and child care articles                  the phthalates prohibitions of section               the CPSIA and the third party testing
                                                    with accessible plastic component parts.                 108 of the CPSIA, and therefore,                     requirements for children’s products.
                                                    However, some specific plastics with                     specified plastics do not require third                 Section 1308.2(a) of the proposed rule
                                                    certain additives might not use any of                   party conformity assessment body                     would establish the Commission’s
                                                    the prohibited phthalates as a                           testing to assure compliance with the                determinations that the following
                                                    plasticizer, or for any other purpose. For               phthalates limits in section 108 of the              plastics do not exceed the phthalates
                                                    these specific plastics and                              CPSIA.                                               content limits with a high degree of
                                                    accompanying additives, compliance                          The proposed determinations would                 assurance as that term is defined in 16
                                                    with the requirements of section 108 of                  relieve the four specified plastics and              CFR part 1107:
                                                    the CPSIA can be assured without                         accompanying additives from the third                   • Polypropylene, with any of the
                                                    requiring third party testing. As a means                party testing requirement of section 14              following additives:
                                                    to reduce the third party testing burden                 of the CPSA for purposes of supporting                  Æ the plasticizers polybutenes,
                                                    on children’s product certifiers while                   the required certification. However, the             dioctyl sebacate, paraffinic oil, isooctyl
                                                    continuing to ensure compliance, the                     proposed determinations would not be                 tallate, mineral plasticizing oils, and
                                                    CPSC is proposing to make                                applicable to any other plastic or                   polyol;
                                                    determinations that specified plastics                   additives beyond those listed in the                    Æ hydrocarbon solvents;
                                                    with certain additives comply with the                   proposed rule.                                          Æ catalysts;
                                                                                                                The proposed determinations would                    Æ fillers;
                                                    phthalate content requirements of
                                                                                                             only relieve the manufacturers’                         Æ nucleating agents;
                                                    section 108 of the CPSIA based on
                                                                                                             obligation to have the specified plastics               Æ primary and secondary
                                                    evidence indicating that such materials
                                                                                                             and accompanying additives tested by a               antioxidants;
                                                    will not contain the prohibited
                                                                                                             CPSC accepted third party conformity                    Æ neutralizing agents;
                                                    phthalates.
                                                                                                             assessment body. Children’s toys and                    Æ antistatic agents;
                                                       Based on the discussion in section C
                                                                                                             child care articles must still comply                   Æ slip agents;
                                                    of this preamble, the Commission
                                                                                                             with the substantive phthalates content                 Æ metal deactivators;
                                                    proposes to determine that the specified
                                                                                                             limits in section 108 of the CPSIA                      Æ quenchers;
                                                    four plastics and accompanying
                                                                                                             regardless of any relief on third party                 Æ UV stabilizers;
                                                    additives would comply with the
                                                                                                             testing requirements.                                   Æ flame retardants;
                                                    phthalates prohibitions with a high
                                                                                                                                                                     Æ blowing or foaming agents;
                                                    degree of assurance. These                               3. Description of the Proposed Rule
                                                                                                                                                                     Æ antiblocking agents;
                                                    determinations mean that third party                        This proposed rule would create a                    Æ lubricants; or
                                                    testing for compliance with the                          new Part 1308 for ‘‘Prohibition of                      Æ colorants.
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                                                    phthalates prohibitions is not required                  Children’s Toys and Child Care Articles                 • Polyethylene, with any of the
                                                    for certification purposes for the                       Containing Specified Phthalates:                     following additives:
                                                    specified four plastics. The Commission                  Determinations Regarding Certain                        Æ the plasticizers glyceryl tribenzoate,
                                                    proposes to make these determinations                    Plastics.’’ The proposed rule would                  polyethylene glycol, sunflower oil,
                                                      13 The Merriam-Webster online dictionary defines
                                                                                                             determine that the specified four                    paraffin wax, paraffin oil, mineral oil,
                                                    a plasticizer as ‘‘a chemical added especially to
                                                                                                             plastics and accompanying additives do               glycerin, EPDM rubber, and EVA
                                                    rubbers and resins to impart flexibility, workability,   not contain the statutorily prohibited               polymer;
                                                    or stretchability.’’                                     phthalates (DEHP, DBP, BBP, DINP,                       Æ catalysts;


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                                                    54760               Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules

                                                       Æ initiators;                                        Proposed § 1308.2(c) is intended to                   compliance requirements of the
                                                       Æ promoters;                                         make clear that if a manufacturer or                  proposed rule, including an estimate of
                                                       Æ antistatic agents;                                 importer uses any other plastic or                    the classes of small entities subject to
                                                       Æ fillers;                                           additive in a children’s toy or child care            the requirements and the types of
                                                       Æ flame retardants;                                  article not listed in proposed                        professional skills necessary for the
                                                       Æ anti-blocking agents;                              § 1308.1(a), that children’s toy or child             preparation of reports or records; and
                                                       Æ slip agents;                                       care article must be third party tested                 • an identification, to the extent
                                                       Æ blowing agents;                                    pursuant to section 14(a)(2) of the CPSA              possible, of all relevant federal rules
                                                       Æ cross-linking agents;                              and 16 CFR part 1107. Finally, the                    which may duplicate, overlap, or
                                                       Æ antioxidants;                                      determinations in proposed § 1308.2(a)                conflict with the proposed rule.
                                                       Æ carbon black; or                                   would only remove the obligation to
                                                       Æ colorants.                                         have children’s toys and child care                   2. Reason for Agency Action and Legal
                                                       • High-impact polystyrene, with any                  articles tested by a third party                      Basis for the Proposed Rule
                                                    of the following additives:                             conformity assessment body. Regardless                  The Commission is proposing this
                                                       Æ catalysts;                                         of any third party testing relief that the            NPR to reduce the burden of third party
                                                       Æ internal lubricants;                               proposed rule would provide, the                      testing on toy and child care article
                                                       Æ chain transfer/transition agents;                  manufacturer or importer must still                   manufacturers, especially the burden on
                                                       Æ stabilizers;                                       comply with the underlying phthalates
                                                       Æ diluents;                                                                                                those that are small entities. Based on
                                                                                                            content prohibitions in section 108 of                an extensive literature review seeking
                                                       Æ colorants;
                                                                                                            the CPSIA.                                            information on the raw materials used
                                                       Æ aluminum chloride, ethyl chloride,
                                                    hydrochloric acid;                                      E. Effective Date                                     in the manufacture of the specified
                                                       Æ iron oxide, potassium oxide,                                                                             plastics, the worldwide manufacturing
                                                                                                              The Administrative Procedure Act                    practices of the plastics, the typical
                                                    chromium oxide; or                                      (APA) generally requires that a
                                                       Æ bifunctional peroxides.                                                                                  applications, and the potential for
                                                                                                            substantive rule must be published not                exposure to the specified phthalates
                                                       • Acrylonitrile butadiene styrene,                   less than 30 days before its effective
                                                    with any of the following additives:                                                                          through the use of recycled materials or
                                                                                                            date. 5 U.S.C. 553(d)(1). Because the                 due to contamination, the Commission
                                                       Æ the plasticizers phosphate esters,
                                                                                                            proposed rule would provide relief from               concludes that there is a high degree of
                                                    long chain fatty acid esters and aromatic
                                                                                                            existing testing requirements under the               assurance that polypropylene,
                                                    sulfonamide;
                                                                                                            CPSIA, the Commission proposes a 30                   polyethylene, high impact polystyrene,
                                                       Æ hydrocarbon solvents;
                                                                                                            day effective date for the final rule.                and acrylonitrile butadiene styrene with
                                                       Æ stabilizers;
                                                       Æ lubricants;                                        F. Regulatory Flexibility Act                         the accompanying additives in the
                                                       Æ antioxidants;                                                                                            proposed rule will not contain any of
                                                       Æ molecular weight regulators;                       1. Introduction                                       the prohibited phthalates in
                                                       Æ initiators/catalysts,                                The Regulatory Flexibility Act (RFA)                concentrations above 0.1 percent when
                                                       Æ activators;                                        requires that agencies review a proposed              used in children’s toys and child care
                                                       Æ emulsifiers; or                                    rule for the rule’s potential economic                articles. Therefore, third party testing is
                                                       Æ colorants.                                         impact on small entities, including                   not necessary to assure that children’s
                                                       Section C.2 of the preamble provides                 small businesses. Section 603 of the                  toys and child care articles with
                                                    a more detailed discussion of the                       RFA generally requires that agencies                  accessible component parts made from
                                                    additives for each of the four plastics                 prepare an initial regulatory flexibility             these plastics and accompanying
                                                    with the specified additives including                  analysis (IRFA) and make the analysis                 additives do not contain the prohibited
                                                    definitions of the additives and various                available to the public for comment                   phthalates.
                                                    examples of the types of additives.                     when the agency is required to publish                3. Small Entities To Which the Proposed
                                                       Section 1308.2(b) of the proposed rule               a notice of proposed rulemaking, unless               Rule Would Apply
                                                    states that accessible component parts of               the agency certifies that the NPR will
                                                    children’s toys and child care articles                 not have a significant economic impact                  The proposed rule would apply to
                                                    made with the specified plastics, and                   on a substantial number of small                      small entities that manufacture or
                                                    specified additives listed in paragraph                 entities. The IRFA must describe the                  import children’s toys or child care
                                                    (a) of that section, are not required to be             impact of the proposed rule on small                  articles that contain accessible
                                                    third party tested pursuant to section                  entities and identify any alternatives                polyethylene, polypropylene, high
                                                    14(a)(2) of the CPSA and 16 CFR part                    which accomplish the statutory                        impact polystyrene, or acrylonitrile
                                                    1107. Proposed § 1308.2(b) is included                  objectives and may reduce the                         butadiene styrene and any
                                                    in the rule to make clear that when the                 significant economic impact of the                    accompanying additives in component
                                                    listed plastics and accompanying                        proposed rule on small entities.                      parts. Toy manufacturers are classified
                                                    additives are used in children’s toys and               Specifically, the IRFA must contain:                  in North American Industry
                                                    child care articles, manufacturers and                    • A description of the reasons why                  Classification System (NAICS) category
                                                    importers are not required to conduct                   action by the agency is being                         33993 (‘‘Doll, Toy, and Game
                                                    the third party testing required in                     considered;                                           Manufacturing’’). According to the U.S.
                                                    section 14(a)(2) of the CPSA and 16 CFR                   • a succinct statement of the                       Bureau of the Census, in 2012 there
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                                                    part 1107. Section 1308.2(c) of the                     objectives of, and legal basis for, the               were 559 toy manufacturers in the
                                                    proposed rule states that accessible                    proposed rule;                                        United States, of which 552 had fewer
                                                    component parts of children’s toys and                    • a description of, and where feasible,             than 500 employees and would be
                                                    child care articles made with a plastic                 an estimate of the number of small                    considered small entities according to
                                                    or additives not listed in paragraph (a)                entities to which the proposed rule will              the Small Business Administration
                                                    of this section are required to be third                apply;                                                (SBA) criteria.14 Of the small
                                                    party tested pursuant to section 14(a)(2)                 • a description of the projected
                                                    of the CPSA and 16 CFR part 1107.                       reporting, recordkeeping, and other                     14 2012   County Business Patterns.



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                                                                         Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules                                            54761

                                                    manufacturers, 326 had fewer than five                   firms classified in this NAICS code of               prohibition level. As a result of the
                                                    employees.                                               which 573 are considered to be small.17              proposed determinations,
                                                       Toy importers may be either                           However, this NAICS category includes                manufacturers, importers, and private
                                                    wholesale merchants or retailers. The                    many other products and most of these                labelers of children’s toys and child care
                                                    proposed rule would not apply to toy                     firms probably do not manufacture child              articles that have accessible components
                                                    wholesalers or retailers if they obtain                  care articles.                                       that consist of these plastics and any
                                                    their merchandise from domestic                             Although, as discussed above, the                 accompanying additives will not have to
                                                    manufacturers or importers. Toy                          number of small companies that supply                obtain third party tests to certify that the
                                                    wholesalers are classified in NAICS                      children’s toys or child care articles to            accessible components do not contain
                                                    category 42392 (‘‘Toy and Hobby Goods                    the U.S. market might be close to                    the prohibited phthalates in
                                                    and Supplies Merchant Wholesalers’’).                    10,000, the number that actually supply              concentrations above 0.1 percent.
                                                    According to the U.S. Bureau of the                      products with accessible polyethylene,                  The proposed rule would not impose
                                                    Census, there were 2,096 firms in this                   polypropylene, high impact                           any additional reporting, recordkeeping,
                                                    category.15 Of these, 2,021 had fewer                    polystyrene, or acrylonitrile, butadiene             or other compliance requirements on
                                                    than 100 employees and would be                          styrene component parts is not known.                small entities. In fact, because the
                                                    considered small businesses according                    Also not known is the number of                      proposed rule would eliminate a testing
                                                    to SBA criteria. Toy retailers are                       children’s toys and child care articles              requirement, there would be a small
                                                    classified in NAICS category 45112                       that contain these plastics. To develop              reduction in some of the recordkeeping
                                                    (‘‘Hobby, Toy, and Game Stores’’). There                 comprehensive estimates of the number                burden under 16 CFR part 1107 and 16
                                                    could be about 5,800 toy retailers that                  of products that contain these plastics              CFR part 1109 because manufacturers
                                                    would meet the SBA criteria to be                        and the number of firms that supply the              would no longer have to maintain
                                                    considered a small entity.16 The number                  products it would probably be necessary              records of third party phthalate tests for
                                                    of these small toy retailers that import                 to survey a representative sample of toy             the component parts manufactured from
                                                    toys, as opposed to obtaining their                      and child care article suppliers to solicit          these four plastics.
                                                    product from domestic sources is not                     information on their use of the four                    A determination that specified
                                                    known.                                                   plastics or to collect a representative              plastics with accompanying additives
                                                       The phthalate regulations also apply                  sample of children’s toys and child care             used in children’s toys and child care
                                                    to manufacturers and importers of child                  articles and analyze the accessible                  articles do not require third party testing
                                                    care articles. Child care articles include               components to determine which ones                   is expected to be entirely beneficial to
                                                    many types of products for which the                     contained one or more of the four                    manufacturers and importers using
                                                    CPSC has recently promulgated or                         plastics.                                            those plastics in accessible component
                                                    proposed new or amended mandatory                           Although comprehensive estimates of
                                                                                                                                                                  parts because manufacturers and
                                                    safety standards. These include toddler                  the number of children’s toys and child
                                                                                                                                                                  importers could forego testing they
                                                    beds, full size and non-full size cribs,                 care articles that contain components
                                                                                                                                                                  otherwise would be required to conduct.
                                                    bassinets and cradles, bedside sleepers,                 made from the four plastics are not
                                                                                                                                                                  However, staff believes the magnitude of
                                                    high chairs, hook-on-chairs, and booster                 available, there is some evidence that
                                                    seats. Other child care articles include                                                                      that benefit is uncertain and could
                                                                                                             these plastics are extensively used in
                                                    sleepwear, and crib or cradle bumpers.                                                                        depend on factors such as:
                                                                                                             children’s toys. One source stated that
                                                    In its ongoing market research, CPSC                                                                             • The extent to which manufacturers
                                                                                                             polypropylene and high density
                                                    staff has identified 364 suppliers of                                                                         have already reduced their testing costs
                                                                                                             polyethylene are used in 38 and 25
                                                    these products that would be considered                                                                       by using component part testing (as
                                                                                                             percent, respectively, of injection
                                                    small according to criteria established                                                                       allowed in 16 CFR part 1109);
                                                                                                             molded toys. Low density polyethylene
                                                    by the SBA. Additionally, there could                    and acrylonitrile butadiene styrene, are                • the volume of children’s toys and
                                                    be other child care articles, not listed                 each used in less than 10 percent of the             child care articles that contain PE, PP,
                                                    above, for which CPSC has not yet                        injection molded toys. Polystyrene may               HIPS, or ABS;
                                                    developed a mandatory or proposed                        also be used in injection molded toys,                  • whether importers who certify
                                                    standard, but which nevertheless are                     but the source does not specify the                  children’s products are unsure what
                                                    covered by the phthalate requirements.                   proportion that is high impact                       plastics are being used in the toys and
                                                       Child care articles would also include                polystyrene.18 The Commission requests               child care articles they import, so they
                                                    products such as teethers (if they are not               comments to better determine the                     could not take advantage of the
                                                    medical devices), pacifiers, and bottle                  impact the proposed determinations                   determinations without additional
                                                    nipples. Manufacturers of these                          would have on small entities.                        testing to assure that a component part
                                                    products are classified in NAICS                                                                              is composed of one of the four plastics.
                                                    category 326299 (‘‘All other rubber                      4. Reporting, Recordkeeping, and Other                  The Commission welcomes comments
                                                    product manufacturing’’). There are 617                  Compliance Requirements and Impact                   on the potential impact of the proposed
                                                                                                             on Small Businesses                                  rule on small entities. Comments are
                                                      15 2012 County Business Patterns.                         The proposed rule would determine                 especially welcome on the following
                                                      16 The SBA considers a toy retailer (NAICS 45112)      that there is a high degree of assurance             topics:
                                                    to be a small entity if its annual sales are less than
                                                                                                             that four specific plastics with any of                 • The extent to which PP, PE, HIPS,
                                                    $27.5 million. According to the U.S. Bureau of the
                                                    Census, in 2007, the average receipts for toy            the accompanying additives will not                  or ABS are used in children’s toys and
                                                    manufacturers with more than 500 employees was           contain any prohibited phthalates at                 child care articles, especially those
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                                                    almost $500 million. The average receipts for the        concentrations above 0.1 percent                     manufactured or imported by small
                                                    next largest category for which summary data was                                                              firms;
                                                    published, toy retailers with at least 100 but fewer
                                                    than 500 employees were about $12 million. There           17 U.S. Bureau of the Census, ‘‘Number of Firms,      • The potential reduction in third
                                                    were 5,864 firms in this NAICS category, of which        Number of Establishments, Employment, and            party testing costs that might be
                                                    5,839 had fewer than 500 employees. (U.S. Census         Annual Payroll by Enterprise Employment Size for     provided by the Commission making the
                                                    Bureau, Number of Firms, Number of                       the United States, All Industries: 2011,’’ 2011
                                                    Establishments, Employment, Annual Payroll, and          County Business Patterns.                            determinations, including the extent to
                                                    Estimated Receipts by Enterprise Employment Size           18 Donald V. Rosato, Plastics End Use              which component part testing is already
                                                    for the United States, All Industries: 2007.)            Applications, Springer, New York, (2011).            being used;


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                                                    54762               Federal Register / Vol. 81, No. 159 / Wednesday, August 17, 2016 / Proposed Rules

                                                      • Any situations or conditions in the                 1308.1 Prohibited children’s toys and child              (ii) Initiators;
                                                    proposed rule that would make it                            care articles containing specified                   (iii) Promoters;
                                                    difficult to make use of the                                phthalates and testing requirements.
                                                                                                            1308.2 Determinations for specified                      (iv) Catalysts;
                                                    determinations to reduce third party
                                                                                                                plastics.                                            (v) Fillers;
                                                    testing costs; and
                                                      • Although the Commission expects                       Authority: Sec. 3, Pub. L. 110–314, 122                (vi) Antistatic agents;
                                                    that the impact of the proposed rule will               Stat. 3016; 15 U.S.C. 2063(d)(3)(B).                     (vii) Flame retardants;
                                                    be entirely beneficial, any potential                   § 1308.1 Prohibited children’s toys and                  (viii) Anti-blocking agents;
                                                    negative impacts of the proposed rule.                  child care articles containing specified                 (ix) Slip agents;
                                                    5. Other Federal Rules                                  phthalates and testing requirements.                     (x) Blowing agents;
                                                                                                              Section 108(a) of the Consumer                         (xi) Ccross-linking agents;
                                                      We have not identified any Federal                    Product Safety Improvement Act of
                                                    rules that duplicate or conflict with the                                                                        (xii) Antioxidants;
                                                                                                            2008 (CPSIA) permanently prohibits any
                                                    proposed rule.                                                                                                   (xiii) Carbon black; or
                                                                                                            children’s toy or child care article that
                                                                                                            contains concentrations of more than                     (xiv) Colorants.
                                                    6. Alternatives Considered To Reduce
                                                    the Burden on Small Entities                            0.1 percent of di-(2-ethylhexl) phthalate                (3) High-impact polystyrene (HIPS),
                                                                                                            (DEHP), dibutyl phthalate (DBP), or                   with any of the following additives:
                                                      Under section 603(c) of the RFA, an                                                                            (i) Catalysts;
                                                                                                            benzyl butyl phthalate (BBP). Section
                                                    initial regulatory flexibility analysis
                                                                                                            108(b)(1) of the CPSIA prohibits on an                   (ii) Internal lubricants;
                                                    should ‘‘contain a description of any
                                                                                                            interim basis any children’s toy that can                (iii) Chain transfer/transition agents;
                                                    significant alternatives to the proposed
                                                                                                            be placed in a child’s mouth or child
                                                    rule which accomplish the stated                                                                                 (iv) Stabilizers;
                                                                                                            care article that contains concentrations
                                                    objectives of the applicable statutes and                                                                        (v) Diluents;
                                                                                                            of more than 0.1 percent of diisononyl
                                                    which minimize any significant impact                                                                            (vi) Colorants;
                                                                                                            phthalate (DINP), diisodecyl phthalate
                                                    of the proposed rule on small entities.’’                                                                        (vii) Aluminum chloride, ethyl
                                                                                                            (DIDP), or di-n-octyl phthalate (DnOP).
                                                    Because the proposed rule is intended                                                                         chloride, hydrochloric acid;
                                                                                                            Materials used in children’s toys and
                                                    to reduce the cost of third party testing
                                                                                                            child care articles subject to section                   (viii) Iron oxide, potassium oxide,
                                                    on small businesses and will not impose
                                                                                                            108(a) and (b)(1) of the CPSIA must                   chromium oxide; or
                                                    any additional burden, the Commission
                                                                                                            comply with the third party testing                      (ix) Bifunctional peroxides.
                                                    did not consider alternatives to the
                                                                                                            requirements of section 14(a)(2) of the                  (4) Acrylonitrile butadiene styrene
                                                    proposed rule that would reduce the
                                                                                                            Consumer Product Safety Act (CPSA),                   (ABS), with any of the following
                                                    burden of this rule on small businesses.
                                                                                                            unless listed in § 1308.2.                            additives:
                                                    G. Environmental Considerations
                                                                                                            § 1308.2 Determinations for specified                    (i) The plasticizers phosphate esters,
                                                       The Commission’s regulations                         plastics.                                             long chain fatty acid esters and aromatic
                                                    provide a categorical exclusion for                        (a) The following plastics do not                  sulfonamide;
                                                    Commission rules from any requirement                   exceed the phthalates content limits                     (ii) Hydrocarbon solvents
                                                    to prepare an environmental assessment                  with a high degree of assurance as that                  (iii) Stabilizers;
                                                    or an environmental impact statement                    term is defined in 16 CFR part 1107:
                                                    because they ‘‘have little or no potential                                                                       (iv) Lubricants;
                                                                                                               (1) Polypropylene (PP), with any of
                                                    for affecting the human environment.’’                  the following additives:                                 (v) Antioxidants;
                                                    16 CFR 1021.5(c)(2). This rule falls                       (i) The plasticizers polybutenes,                     (vi) Molecular weight regulators;
                                                    within the categorical exclusion, so no                 dioctyl sebacate, paraffinic oil, isooctyl               (vii) Initiators/catalysts,
                                                    environmental assessment or                             tallate, mineral plasticizing oils, and                  (viii) Activators;
                                                    environmental impact statement is                       polyol;                                                  (ix) Emulsifiers; or
                                                    required. The Commission’s regulations                     (ii) Hydrocarbon solvents;
                                                    state that safety standards for products                                                                         (x) Colorants.
                                                                                                               (iii) Catalysts;
                                                    normally have little or no potential for                   (iv) Fillers;                                         (b) Accessible component parts of
                                                    affecting the human environment. 16                        (v) Primary and secondary                          children’s toys and child care articles
                                                    CFR 1021.5(c)(1). Nothing in this rule                  antioxidants;                                         made with the specified plastics, and
                                                    alters that expectation.                                   (vi) Neutralizing agents;                          specified additives, listed in paragraph
                                                                                                               (vii) Antistatic agents;                           (a) of this section are not required to be
                                                    List of Subjects in 16 CFR Part 1308                       (viii) Slip agents;                                third party tested pursuant to section
                                                      Business and industry, Consumer                          (ix) Metal deactivators;                           14(a)(2) of the CPSA and 16 CFR part
                                                    protection, Imports, Infants and                           (x) Quenchers;                                     1107.
                                                    children, Product testing and                              (xi) UV stabilizers;                                  (c) Accessible component parts of
                                                    certification, Toys.                                       (xii) Nucleating agents;                           children’s toys and child care articles
                                                    ■ Accordingly, the Commission
                                                                                                               (xiii) Flame retardants;                           made with a plastic or additives not
                                                    proposes to amend Title 16 of the Code                     (xiv) Blowing or foaming agents;                   listed in paragraph (a) of this section are
                                                                                                               (xv) Antiblocking agents;                          required to be third party tested
                                                    of Federal Regulations by adding part
                                                                                                               (xvi) Lubricants; or
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                                                    1308 to read as follows:                                                                                      pursuant to section 14(a)(2) of the CPSA
                                                                                                               (xvii) Colorants.                                  and 16 CFR part 1107.
                                                    PART 1308—PROHIBITION OF                                   (2) Polyethylene (PE), with any of the
                                                                                                            following additives:                                    Dated: August 11, 2016.
                                                    CHILDREN’S TOYS AND CHILD CARE                                                                                Todd A. Stevenson,
                                                    ARTICLES CONTAINING SPECIFIED                              (i) The plasticizers glyceryl
                                                                                                            tribenzoate, polyethylene glycol,                     Secretary, Consumer Product Safety
                                                    PHTHALATES: DETERMINATIONS                                                                                    Commission.
                                                    REGARDING CERTAIN PLASTICS                              sunflower oil, paraffin wax, paraffin oil,
                                                                                                            mineral oil, glycerin, EPDM rubber, and               [FR Doc. 2016–19464 Filed 8–16–16; 8:45 am]
                                                    Sec.                                                    EVA polymer;                                          BILLING CODE 6355–01–P




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Document Created: 2018-02-09 11:35:04
Document Modified: 2018-02-09 11:35:04
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 October 31, 2016.
ContactRandy Butturini, Project Manager, Office of Hazard Identification and Reduction U.S. Consumer Product Safety Commission, 4330 East West Hwy., Room 814, Bethesda, MD 20814; 301-504-7562: email; [email protected]
FR Citation81 FR 54754 
CFR AssociatedBusiness and Industry; Consumer Protection; Imports; Infants and Children; Product Testing and Certification and Toys

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