82_FR_17029 82 FR 16963 - Safety Standard for Infant Inclined Sleep Products

82 FR 16963 - Safety Standard for Infant Inclined Sleep Products

CONSUMER PRODUCT SAFETY COMMISSION

Federal Register Volume 82, Issue 66 (April 7, 2017)

Page Range16963-16975
FR Document2017-06875

The Danny Keysar Child Product Safety Notification Act, section 104 of the Consumer Product Safety Improvement Act of 2008 (CPSIA), requires the United States Consumer Product Safety Commission (Commission or CPSC) to promulgate consumer product safety standards for durable infant or toddler products. These standards are to be ``substantially the same as'' applicable voluntary standards, or more stringent than the voluntary standard if the Commission concludes that more stringent requirements would further reduce the risk of injury associated with the product. The Commission is proposing a safety standard for infant inclined sleep products (inclined sleep products) in response to the direction under section 104(b) of the CPSIA. In addition, the Commission is proposing an amendment to include inclined sleep products in the list of notice of requirements (NORs) issued by the Commission. The Commission is also proposing to explicitly identify infant inclined sleep products as a durable infant or toddler product subject to CPSC's consumer registration requirements.

Federal Register, Volume 82 Issue 66 (Friday, April 7, 2017)
[Federal Register Volume 82, Number 66 (Friday, April 7, 2017)]
[Proposed Rules]
[Pages 16963-16975]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-06875]


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CONSUMER PRODUCT SAFETY COMMISSION

16 CFR Parts 1112, 1130, and 1236

[CPSC Docket No. 2017-0020]


Safety Standard for Infant Inclined Sleep Products

AGENCY: Consumer Product Safety Commission.

ACTION: Notice of proposed rulemaking.

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SUMMARY: The Danny Keysar Child Product Safety Notification Act, 
section 104 of the Consumer Product Safety Improvement Act of 2008 
(CPSIA), requires the United States Consumer Product Safety Commission 
(Commission or CPSC) to promulgate consumer product safety standards 
for durable infant or toddler products. These standards are to be 
``substantially the same as'' applicable voluntary standards, or more 
stringent than the voluntary standard if the Commission concludes that 
more stringent requirements would further reduce the risk of injury 
associated with the product. The Commission is proposing a safety 
standard for infant inclined sleep products (inclined sleep products) 
in response to the direction under section 104(b) of the CPSIA. In 
addition, the Commission is proposing an amendment to include inclined 
sleep products in the list of notice of requirements (NORs) issued by 
the Commission. The Commission is also proposing to explicitly identify 
infant inclined sleep products as a durable infant or toddler product 
subject to CPSC's consumer registration requirements.

DATES: Submit comments by June 21, 2017.

ADDRESSES: Comments related to the Paperwork Reduction Act aspects of 
the marking, labeling, and instructional literature requirements of the 
proposed mandatory standard for inclined sleep products should be 
directed to the Office of Information and Regulatory Affairs, the 
Office of Management and Budget, Attn: CPSC Desk Officer, FAX: 202-395-
6974, or emailed to [email protected].
    Other comments, identified by Docket No. CPSC-2017-0020, may be 
submitted electronically or in writing:
    Electronic Submissions: Submit electronic comments to the Federal 
eRulemaking Portal at: http://www.regulations.gov. Follow the 
instructions for submitting comments. The Commission does not accept 
comments submitted by electronic mail (email), except through 
www.regulations.gov. The Commission encourages you to submit electronic 
comments by using the Federal eRulemaking Portal, as described above.
    Written Submissions: Submit written submissions by mail/hand 
delivery/courier to: Office of the Secretary, Consumer Product Safety 
Commission, Room 820, 4330 East West Highway, Bethesda, MD 20814; 
telephone (301) 504-7923.
    Instructions: All submissions received must include the agency name 
and docket number for this proposed rulemaking. All comments received 
may be posted without change, including any personal identifiers, 
contact information, or other personal information provided, to: http://www.regulations.gov. Do not submit confidential business information, 
trade secret information, or other sensitive or protected information 
that you do not want to be available to the public. If furnished at 
all, such information should be submitted in writing.
    Docket: For access to the docket to read background documents or 
comments received, go to: http://www.regulations.gov, and insert the 
docket number, CPSC-2017-0020, into the ``Search'' box, and follow the 
prompts.

FOR FURTHER INFORMATION CONTACT: Celestine T. Kish, Project Manager, 
Directorate for Engineering, U.S. Consumer Product Safety Commission, 5 
Research Place, Rockville, MD 20850; telephone: (301) 987-2547; email: 
[email protected].

[[Page 16964]]


SUPPLEMENTARY INFORMATION: 

I. Background and Statutory Authority

    The CPSIA was enacted on August 14, 2008. Section 104(b) of the 
CPSIA, part of the Danny Keysar Child Product Safety Notification Act, 
requires the Commission to: (1) Examine and assess the effectiveness of 
voluntary consumer product safety standards for durable infant or 
toddler products, in consultation with representatives of consumer 
groups, juvenile product manufacturers, and independent child product 
engineers and experts; and (2) promulgate consumer product safety 
standards for durable infant or toddler products. Standards issued 
under section 104 are to be ``substantially the same as'' the 
applicable voluntary standards, or more stringent than the voluntary 
standard if the Commission concludes that more stringent requirements 
would further reduce the risk of injury associated with the product.
    Section 104(f)(1) of the CPSIA defines the term ``durable infant or 
toddler product'' as ``a durable product intended for use, or that may 
be reasonably expected to be used, by children under the age of 5 
years.'' The definition lists examples of several categories of durable 
infant or toddler products, including bassinets and cradles. Staff 
initially considered inclined sleep products to fall within the scope 
of the bassinet/cradle standard, but as work progressed on that 
standard, it became evident that one rule could not effectively address 
all products. Accordingly, the Commission directed staff to separate 
inclined sleep products into a separate rulemaking effort. Thus, the 
inclined sleep products safety standard is an outgrowth of the 
bassinet/cradle safety standard, addressing products with an incline 
greater than 10 degrees from horizontal. ASTM simultaneously began work 
on developing a voluntary standard for inclined sleep products. ASTM 
published the resulting infant inclined sleep products standard in May 
2015, and most recently revised the standard in January of 2017.
    This proposed rule would establish a standard for inclined sleep 
products as a type of durable infant or toddler product under section 
104 of the CPSIA. Because the inclined sleep product standard is an 
outgrowth of the bassinet/cradle standard, a category that the 
statutory definition of ``durable infant or toddler product'' 
explicitly lists, inclined sleep products could be considered a type of 
bassinet. Section 104(f). Thus, to avoid possible confusion about 
inclined sleep products being a durable infant or toddler product, the 
Commission proposes to amend the definition of ``durable infant or 
toddler product'' in the consumer registration rule to explicitly 
include ``infant inclined sleep products.''
    Pursuant to section 104(b)(1)(A) of the CPSIA, the Commission 
consulted with manufacturers, retailers, trade organizations, 
laboratories, consumer advocacy groups, consultants, and members of the 
public in the development of this notice of proposed rulemaking (NPR), 
largely through the ASTM process.
    Based on a briefing package prepared by CPSC staff, the NPR would 
incorporate by reference the most recent voluntary standard developed 
by ASTM International, ASTM F3118-17, Standard Consumer Safety 
Specification for Inclined Sleep Products, with a modification to the 
standard's definition of ``accessory.'' [https://www.cpsc.gov/s3fs-public/Proposed%20Rule%20-%20Safety%20Standard%20for%20Infant%20Inclined%20Sleep%20Products%20-%20March%2022%2C%202017.pdf] If finalized, the ASTM standard, as 
modified, would be a mandatory safety rule under the Consumer Product 
Safety Act (CPSA).
    The testing and certification requirements of section 14(a) of the 
CPSA apply to the standards promulgated under section 104 of the CPSIA. 
Section 14(a)(3) of the CPSA requires the Commission to publish an NOR 
for the accreditation of third party conformity assessment bodies (test 
laboratories) to assess conformity with a children's product safety 
rule to which a children's product is subject. The proposed rule for 
inclined sleep products, if issued as a final rule, would be a 
children's product safety rule that requires the issuance of an NOR. To 
meet the requirement that the Commission issue an NOR for the inclined 
sleep products standard, this NPR also proposes to amend 16 CFR part 
1112 to include 16 CFR part 1236, the CFR section where the inclined 
sleep products standard will be codified, if the standard becomes 
final.

II. Product Description

A. Infant Inclined Sleep Products, Generally

    There are many different styles of infant inclined sleep products 
available for infants and newborns. These can be categorized as:
    [ssquf] Hammocks (typically constructed of fabric and suspended 
from one or two points, either above or on either side; constructed of 
various materials; generally conform to the shape of the child when 
placed in the product; can either be supported by a frame or other 
structure, such as a ceiling);
    [ssquf] Newborn or infant frame type (intended to be placed on the 
floor; self-supporting; typically use a metal frame with a rigid or 
semi-rigid sleeping surface; base may be stationary or allow side to 
side rocking; may be intended for use by either newborns or infants, or 
both, depending on the size);
    [ssquf] Compact (freestanding with the bottom of the seat a maximum 
of 6 inches above the floor; generally constructed of foam with a fixed 
seat back angle between 10[deg] and 30[deg]; intended to be used on the 
floor); and
    [ssquf] Newborn or infant inclined sleep product accessories 
(intended to provide sleeping accommodations and are attached to or 
supported in some way by another product; a rigid frame product that 
has either a stationary or fixed base and in some cases may be removed 
and used independently; products intended for newborn use have a seat 
back less than 17 inches).
    Products intended for use with newborns are generally similar in 
design to products intended for infants, except that products intended 
for use with newborns have a seat back length of 17 inches or less.

B. Definition of ``Infant Inclined Sleep Product''

    An ``infant inclined sleep product,'' as defined by ASTM F3118-17, 
includes three key components:
    [ssquf] Age of intended product occupant: the product must be 
intended for infants up to five months old (3 months for certain 
smaller products). The product may additionally be intended for older 
children, possibly in a different configuration, provided that its 
intended use also includes children up to five months.
    [ssquf] Sleep: the product must be primarily intended and marketed 
to provide sleeping accommodations.
    [ssquf] Surface incline: the product must have at least one 
inclined sleep surface position that is greater than 10 degrees, but 
less than or equal to 30 degrees.
    In sum, the inclined sleep products standard covers ``a free 
standing product with an inclined sleep surface primarily intended and 
marketed to provide sleeping accommodations for an infant up to 5 
months old or when the infant begins to roll over or pull up on sides, 
whichever comes first.''
    The ASTM standard also covers newborn inclined sleep products, 
compact inclined sleep products, and inclined sleep product 
accessories. According to the ASTM standard, a newborn inclined sleep 
product is a

[[Page 16965]]

``smaller product intended for newborns up to 3 months old or when 
newborn begins to wiggle out of position or turn over in the product or 
weighs more than 15 lb (6.8 kg), whichever comes first.'' A compact 
inclined sleep product is ``a free standing infant or newborn inclined 
sleep product having a distance of 6.0 in. or less between the 
underside of the lowest point on the seat bottom and the support 
surface (floor).'' The ASTM standard defines ``infant and newborn 
inclined sleep product accessories'' as products ``which are attached 
to, or supported by, another product with the same age or abilities, or 
both, as the free standing products.'' The ASTM standard currently 
limits inclined sleep product accessories to rigidly framed products, 
but the Commission proposes to modify the definition in ASTM F3118-17 
of ``infant and newborn inclined sleep product accessories'' to remove 
the phrase ``rigidly framed'' so that the standard will include 
recently-identified soft-sided products that attach to cribs and play 
yards.
    The scope section of ASTM F3118-17 further provides that if the 
inclined sleep product can be converted into a product for which 
another ASTM standard consumer safety specification exists, the product 
shall meet the applicable requirements of that standard, in addition to 
those of ASTM F3118-17.
    CPSC and ASTM recognize that the scope section of the standard as 
currently written may contain some ambiguity about the meaning of 
``intended and marketed to provide sleeping accommodations.'' CPSC and 
ASTM staff continue to work to reduce this ambiguity to provide greater 
clarity for inclined sleep product suppliers to determine whether their 
products fall within the scope of the ASTM standard. One option would 
be for the standard to clarify ``intended . . . to provide sleeping 
accommodations.'' ASTM and CPSC recognize that infants sleep in many 
products, some of which are designed specifically for sleep, while 
others are designed for other purposes (i.e., infant swings). CPSC 
requests comments on the need to define ``intended or marketed to 
provide sleeping accommodations,'' along with potential definitions of 
that term, as well as whether and the extent to which clarification 
regarding which products constitute multi-use inclined sleep products 
is needed.

III. Incident Data

    The Commission is aware of a total of 657 incidents (14 fatal and 
643 nonfatal) related to infant inclined sleep products, reported to 
have occurred between January 1, 2005 and September 30, 2016. 
Information on 40 percent (261 out of 657) of the incidents was based 
solely on reports submitted to CPSC by manufacturers and retailers 
through CPSC's ``Retailer Reporting System.'' Various sources, such as 
hotlines, internet reports, newspaper clippings, medical examiners, and 
other state and local authorities provided the CPSC with the remaining 
incident reports. Because reporting is ongoing, the number of reported 
fatalities, nonfatal injuries, and non-injury incidents may change in 
the future.

A. Fatalities

    CPSC has reports of 14 fatalities associated with the use of an 
infant inclined sleep product, which occurred between January 1, 2005 
and September 30, 2016.
    [ssquf] Eight of the 14 deaths involved rocker-like inclined sleep 
products.
    [cir] In three cases, the unstrapped decedent was found to have 
rolled over into a face-down position.
    [cir] In two additional cases, the decedent reportedly rolled over 
into a face down position, but no information was available on the use 
of a restraint.
    [cir] For the remaining three cases, there was insufficient 
information about the cause or manner of the deaths.
    [ssquf] Four of the 14 deaths involved reclined infant seat-type 
products.
    [cir] In three cases, the products were placed inside cribs and the 
decedents (two with restraints, one without restraints) were found to 
have rolled over the edge of the products into the bedding in the 
cribs.
    [cir] In the remaining one case, restraints were not used and the 
decedent was found to have rolled over into a face-down position.
    [ssquf] Two of the 14 deaths involved infant hammocks.
    [cir] In one case, the decedent had rolled over on her stomach--
restraint-use not mentioned--and was found face down on a foam 
mattress.
    [cir] In the one remaining case, the decedent was trapped in the 
head down position, with face pressed against bedding material after 
product straps were not assembled correctly, allowing the product to 
tip out of position.

B. Nonfatalities

    CPSC has reports of 643 inclined sleep product-related nonfatal 
incidents that were reported to have occurred between January 1, 2005 
and September 30, 2016. Of the 643 incidents, 301 involved an injury to 
the infant during use of the product. The majority of the injured (256 
out of 301) were between 1 month and 8 months of age. Age was reported 
to be over 8 months for 16 of the injured infants, and was not reported 
for 29 of the injured infants.
    The severity of the injury types among the 301 reported injuries 
were as follows:
    [ssquf] 20 required hospital admissions (17 for respiratory 
problems suffered due to mold on the sleep product, 2 for treatment of 
a head injury due to a fall, and 1 for observation of an infant who had 
stopped breathing for unspecified reasons).
    [ssquf] 27 were treated and released from emergency departments. 
These infants were treated for respiratory problems, head injuries 
(such as a skull fracture or a closed-head injury), contusions/bruises, 
and, in one case, foreign objects (namely, metal shavings from the 
product) that entered the infant's eye.
    [ssquf] 151 required treatment for plagiocephaly (flat head 
syndrome), torticollis (twisted neck syndrome), or both conditions, 
associated with the use of the inclined sleep product.
    [ssquf] 90 were treated for mostly respiratory and some skin 
problems associated with mold on the product.
    [ssquf] Seven infants suffered minor bumps/bruises/lacerations due 
to falls or near-falls.
    [ssquf] Three suffered a combination of respiratory problems along 
with flat head syndrome or fall injuries.
    [ssquf] One eye-burn injury, one thermal burn due to electrical 
overheating, and one abnormal back curvature condition attributed to 
the use of an inclined sleep product.
    The remaining 342 incident reports stated that no injury had 
occurred or provided no information about any injury. However, many of 
the descriptions indicated the potential for a serious injury or even 
death.

C. Hazard Pattern Identification

    CPSC staff considered all 657 reported incidents to identify hazard 
patterns associated with inclined sleep products. ASTM F3118-17 covers 
a variety of products. Some, like hammocks, are suspended in air, while 
other seat-like products are meant to be placed on a level floor 
(although incident reports indicate they often were not). Yet others 
sit as attachments on larger nursery products.
    Because inclined sleep products include a variety of product types, 
staff identified different hazard patterns depending on which product 
was involved and how it was used. CPSC staff identified the following 
hazard patterns associated with inclined sleep products:
    1. Design Problems (75%): 492 incidents fell within this category. 
Staff

[[Page 16966]]

identified two major design issues: (1) Infants reportedly developed 
respiratory and/or skin ailments due to the growth of mold on the 
product; and (2) infants reportedly developed physical deformations 
such as plagiocephaly (flat head syndrome) and/or torticollis (twisted 
neck syndrome) from extended use of the product. Although this category 
does not include any deaths, this category includes 17 hospitalizations 
and 13 emergency department (ED) visits, all for treating respiratory 
problems associated with the use of the inclined sleep product. This 
category also includes an additional 244 non-hospitalized, non-ED 
injuries.
    2. Compromised Structural integrity (5%): 36 incident reports noted 
some level of failure of the product or its components. These failures 
included buckles or straps breaking, pads/seats/liners tearing, 
hardware coming loose, and metal stands/bars and other unspecified 
components breaking. No injuries or fatalities were reported in this 
category.
    3. Inadequate restraints (5%): 35 incidents reportedly occurred 
when the restraint failed to adequately confine the infant in position. 
These incidents include two deaths when an infant, although restrained, 
rolled over, out of position, and ended up with face buried in nearby 
soft bedding. Three of the nine injuries in this category were treated 
in emergency departments and resulted from a strapped-in infant falling 
out of the product entirely.
    4. Electrical issues (3%): 22 incidents involved overheating or 
melting of components such as the vibrating unit, battery cover, 
switch, or motor. One incident resulted in a thermal burn.
    5. Non-product-related/unknown issues (3%): In 18 incidents either 
the manner in which the product was used led to an incident or not 
enough information was available to determine how the incident 
occurred. This category includes 10 fatalities and four injuries. User 
error contributed to six asphyxiation fatalities in this category; all 
decedents were left unstrapped and later found in a prone position. Two 
additional fatalities occurred when an infant rolled out of position 
while in the product; it was unknown if a restraint was used. The 
incident reports did not indicate clearly the circumstances that led to 
the remaining two fatalities. Of the four injuries, staff attributed 
two to user error; staff has very little information about the 
circumstances leading to the remaining two injury incidents.
    6. Infant positioning during use (2%): In 13 reported incidents the 
infant moved into a compromised position. Most of the incidents 
involved hammock-like products, which shifted into a non-level rest 
position as the infant moved. Two infants ended up trapped in a corner 
with face in the fabric/bedding of the product. In two other reports, 
consumers complained of difficulty in preventing the infant from 
getting into a head-to-chin position.
    7. Miscellaneous product-related issues (1%): Nine incident reports 
noted a variety of product-related issues. These included: Complaints 
of poor finish (metal shavings, sharp edges, a threaded needle left in 
the product), instability (product, suspended mid-air, flipping over, 
or product, sitting on floor, tipping over), incomplete packaging 
(missing parts and instructions), and noxious odor. In addition, one 
incident reported both restraint inadequacy and mold growth, indicating 
a design problem. Two injuries were reported in this category, 
including one treated and released from a hospital emergency 
department.
    8. Unspecified falls (1%): In nine incidents, an infant fell from 
the inclined sleep product, but very little information was available 
on the circumstances surrounding the falls. All of the incidents were 
reported through hospital emergency departments and were reports of 
head injuries (skull fracture or closed-head injury) or face contusion. 
One infant was hospitalized while others were treated and released.
    9. Consumer comments (4%): 23 incidents fall in this category. The 
reports consisted of consumer comments/observations of perceived safety 
hazards or complaints about unauthorized sale of infant inclined sleep 
products. None of these reports indicated that any incident actually 
occurred.

D. Product Recalls

    Compliance staff reviewed recalls of infant inclined sleep products 
from May 10, 2000 to March 1, 2016. During that time, there were nine 
consumer-level recalls involving infant inclined sleep products. The 
recalls were conducted to resolve issues involving mold, structural 
stability, entrapment, suffocation, falls, and strangulation. Three 
recalls involved inclined sleep products and six recalls involved 
infant hammocks (which are within the scope of F3118-17).
    One recall for mold affected 800,000 units of infant inclined sleep 
products. Two recalls for entrapment and suffocation affected 195,000 
units of inclined sleep products. The six additional recalls were the 
result of potential suffocation, strangulation, structural stability, 
entrapment, and fall hazards. Those recalls collectively affected 
25,368 hammock units.

IV. International Standards for Inclined Sleep Products

    Other standards include infant inclined sleep products within their 
scope, but these standards are intended primarily to address hazards 
associated with products having flat sleeping surfaces, such as 
bassinets and cradles. These include:
    [ssquf] The Cribs, Cradles, and Bassinets regulation included in 
the Canada Consumer Product Safety Act: The Canadian regulation has 
similar requirements to ASTM F3118, such as warnings, labels, and 
general performance requirements (e.g. lead content, small parts, 
openings). The Canadian regulation has additional requirements for slat 
strength, mesh material, structural integrity, and mattress supports. 
Upon review, CPSC staff determined that the Canadian regulation 
provides similar performance requirements, but does not provide the 
comprehensive product assessment of the specific hazards identified in 
CPSC incident data that the ASTM standard does.
    [ssquf] The European standard (SS-EN 1130: Furniture, Cribs, and 
Cradles Safety Requirements): EN 1130 covers only inclined sleep 
products with a body and frame. The European standard would not include 
hammocks or similar products that are suspended from ceilings or other 
structures. EN 1130 includes requirements for construction and 
materials similar to the general ASTM F3118 requirements. Additional 
requirements include labeling, use instructions, packaging, and 
stability. EN 1130 is intended primarily to address hazards associated 
with bassinets and cradles and not the unique hazards associated with 
inclined sleep products. Based on evaluation, CPSC staff believes the 
ASTM standard is more inclusive because it includes all hammock styles 
and provides a more comprehensive assessment of potential hazards 
associated with inclined sleep products.
    [ssquf] The Australian standard (AS/NZS 4385 Infants' rocking 
cradles--Safety requirements): AS/NZS 4385 is intended for rocking 
cradles that swing, rock, or tilt, but specifically excludes hammocks 
that do not have this feature. It is unclear if tilt means incline, 
thereby including in the Australian standard inclined sleep products as 
defined in ASTM F3118. AS/NZS 4385 contains requirements for 
construction, toxicology, and flammability. There are also other 
general provisions such as those for included toys. AS/NZS 4385

[[Page 16967]]

has some similar performance requirements, but is not as comprehensive 
as ASTM F3118 in assessing the potential hazards associated with 
inclined sleep products.

V. Voluntary Standard--ASTM F3118

A. History of ASTM F3118

    Section 104(b)(1)(A) of the CPSIA requires the Commission to 
consult representatives of ``consumer groups, juvenile product 
manufacturers, and independent child product engineers and experts'' to 
``examine and assess the effectiveness of any voluntary consumer 
product safety standards for durable infant or toddler products.'' As a 
result of incidents arising from inclined sleep products, CPSC staff 
requested that ASTM develop voluntary requirements to address the 
hazard patterns related to the use of inclined sleep products. ASTM 
first approved ASTM F3118 on April 1, 2015, and published it in May 
2015. Through the ASTM process, CPSC staff consulted with 
manufacturers, retailers, trade organizations, laboratories, consumer 
advocacy groups, consultants, and members of the public. The current 
standard, ASTM F3118-17, was approved on January 1, 2017, and published 
in March of 2017. This is the third revision to the standard since it 
was first published in May 2015.

B. Description of the Current Voluntary Standard--ASTM F3118-17

    ASTM F3118-17 includes the following key provisions: Scope, 
terminology, general requirements, performance requirements, test 
methods, marking and labeling, and instructional literature.
    Scope. This section states the scope of the standard, detailing 
what constitutes an infant inclined sleep product. As stated in section 
II.A. of this preamble, the Scope section describes an inclined sleep 
product as ``a free standing product with an inclined sleep surface 
primarily intended and marketed to provide sleeping accommodations for 
an infant up to 5 months old or when the infant begins to roll over or 
pull up on sides, whichever comes first.'' This section also states 
that the standard covers newborn inclined sleep products, compact 
inclined sleep products, and inclined sleep products accessories. This 
section further explains that if the inclined sleep product can be 
converted into a product for which another ASTM standard consumer 
safety specification exists, the product shall meet the applicable 
requirements of that standard, in addition to those of ASTM F3118-17.
    Terminology. This section provides definitions of terms specific to 
this standard.
    General Requirements. This section addresses numerous hazards with 
several general requirements, most of which are also found in the other 
ASTM juvenile product standards. The general requirements included in 
this section are:
    [ssquf] Lead in paint;
    [ssquf] Sharp edges or points;
    [ssquf] Small parts;
    [ssquf] Wood parts;
    [ssquf] Scissoring, shearing, and pinching;
    [ssquf] Openings;
    [ssquf] Exposed coil springs;
    [ssquf] Protective components;
    [ssquf] Labeling; and
    [ssquf] Toys.
    Performance Requirements and Test Methods. These sections contain 
performance requirements specific to inclined sleep products (discussed 
here) and the test methods that must be used to assess conformity with 
such requirements.
    [ssquf] Stability: This requirement is intended to prevent inclined 
sleep products from tipping over while in use.
    [ssquf] Unintentional folding: This requirement is intended to 
prevent unintentional folding of the product while it is in use, 
regardless of type of lock/latch the product uses (if any).
    [ssquf] Restraint systems: This requirement is intended to ensure 
the integrity and effectiveness of restraint systems, which (when 
present) must include both a waist and crotch restraint, but not 
shoulder straps. Additionally, the inclined sleep product's restraint 
system must be designed so that the crotch restraint has to be used 
whenever the restraint system is used. The restraint system must be 
attached to the product in one of the manufacturer's recommended use 
positions at the time of shipment.
    [ssquf] Side height: This requirement is intended to prevent falls, 
in conjunction with head, foot, and side containment requirements.
    [ssquf] Head, foot, and side containment: This requirement is 
intended to prevent falls, in conjunction with side height 
requirements.
    [ssquf] Side to side surface containment: This requirement is 
intended to ensure a seat back shape that prevents children from 
rotating into a sideways position.
    [ssquf] Seat back length: This requirement is intended to prevent 
older children from being placed in inclined sleep products intended 
for younger users by restricting the head containment area available on 
the seat back.
    [ssquf] Structural integrity: This requirement is intended to 
ensure that the inclined sleep product remains cohesive after both 
dynamic and static load testing. It is also intended to ensure that the 
product can support the intended user's weight when a safety margin is 
factored in.
    Marking and Labeling. This section contains various requirements 
relating to warnings, labeling, and required markings for inclined 
sleep products. This section prescribes various substance, format, and 
prominence requirements for such information.
    Instructional Literature. This section requires that instructions 
be provided with inclined sleep products and be easy to read and 
understand. Additionally, the section contains requirements relating to 
instructional literature contents and format.

VI. Assessment of the Voluntary Standard ASTM F3118-17

    CPSC staff identified 657 incidents (including 14 deaths) related 
to the use of inclined sleep products. CPSC staff examined the incident 
data, identified hazard patterns in the data, and worked with ASTM to 
develop the performance requirements in ASTM F3118. The incident data 
and identified hazard patterns served as the basis for the development 
of ASTM F3118-15 and F3118-17 by ASTM with CPSC staff support 
throughout the process.
    CPSC believes that the current voluntary standard, ASTM F3118-17, 
addresses the primary hazard patterns identified in the incident data, 
with one modification to the standard's definition of ``accessory.'' 
CPSC concludes that more stringent requirements relating to the 
standard's definition of ``accessory'' would further reduce the risk of 
injury associated with inclined sleep products.
    The following section discusses how each of the identified product-
related issues or hazard patterns listed in section III.C. of this 
preamble is addressed by the current voluntary standard, ASTM F3118-17, 
and discusses the proposed more stringent requirement where 
appropriate:

A. Design Problems

    Incident reports indicate that 75 percent of reported incidents 
were associated with the design of the inclined sleep product. Staff 
identified two major design issues: Infant respiratory and/or skin 
ailments due to mold growth on the product, and (2) Infant physical 
deformations such as plagiocephaly (flat head syndrome) and/or 
torticollis (twisted neck syndrome) from extended product use.
    In the reported cases of mold that resulted in respiratory problems 
for infants using the product, all cases were

[[Page 16968]]

related to one particular manufacturer's inclined sleep product. CPSC 
conducted a recall of that product in 2013. Infants who use an inclined 
sleep product that is known to develop visible mold can be at risk of 
developing health effects such as allergies, asthma, mycosis, and 
effects of mycotoxins. However, because the mold growth was restricted 
to one manufacturer's product and that product was recalled, the 
Commission is not proposing any modifications to address potential 
hazards associated with mold.
    Plagiocephaly, cranial deformity or asymmetry (commonly known as 
flat head) is a condition that may exist at birth due to mechanical 
constraint of fetal head movement in the womb, birth-related injuries 
during assisted delivery, or as a result of increased likelihood of 
skull deformity as a consequence of premature birth. Muscular 
torticollis (twisted neck) is a known risk factor associated with 
plagiocephaly caused by constraint of head and neck movement. Although 
incident data indicate that consumers believe use of an inclined sleep 
product is the cause for their child's plagiocephaly/torticollis, there 
is no evidence to support this belief. The increase in the number of 
children with plagiocephaly may actually be attributed to the American 
Academy of Pediatrics' (AAP) recommendation to place infants to sleep 
on their backs to decrease the risk of sudden infant death syndrome 
(SIDS). Because the development of plagiocephaly and torticollis is not 
exclusively attributable to the use of infant inclined sleep products, 
the conditions are not addressable with performance standards. The 
Commission is not proposing any modifications to the voluntary standard 
to address these issues.

B. Inadequate Restraints

    ASTM F3118-17 does not require the inclusion of any type of 
restraint system. However, for products that do include restraints, the 
ASTM standard includes performance requirements to address restraint 
operation and function. Two deaths occurred in an inclined sleep 
product that was recalled during the development of the ASTM voluntary 
standard. The ASTM standards subcommittee developed the restraint 
requirements and containment requirements to address these deaths and 
injuries. The Commission believes that these restraint performance 
requirements adequately address this hazard pattern, and notes that 
these are similar requirements used in other juvenile product safety 
standards.

C. Compromised Structural Integrity

    The incidents included in this category consisted of complaints 
related to buckles/straps breaking, pads/seats/liners tearing, hardware 
coming loose, and metal stands/bars and other unspecified components 
breaking. The static and dynamic load tests included in F3118-17 
address structural integrity in a similar manner to other ASTM juvenile 
product standards. Following evaluation of these tests, the Commission 
believes that these requirements adequately address this hazard 
pattern.

D. Infant Positioning During Use

    Most infant position incidents involved hammock-like products, 
which shifted into a non-level rest position as the infants moved, 
resulting in the infants becoming trapped in a corner with their face 
in the fabric/bedding of the product. Two fatalities occurred in this 
manner. Hazardous positioning involves multiple factors, such as the 
fabric or material used on the product's side, inclusion of a mat or 
mattress, and the infant's ability to reposition in the product. As the 
factors involved in these incidents are complex and not easily 
addressable, ASTM F3118-17 does not include specific performance 
requirements to directly address this scenario at this time. The 
voluntary standard addresses instability with a performance test; 
however, the intent of that test is to address incidents such as 
siblings pulling on the side and tipping the inclined sleep product. 
CPSC will continue to monitor incident data and could consider changes 
to the standard in the future if needed.

E. Non-Product-Related/Unknown

    There were ten fatalities and four injuries in this category. User 
error contributed to six of the asphyxiation fatalities. All decedents 
were left unstrapped and later found in a prone position. ASTM F3118-17 
has requirements for restraints (where the product includes restraints) 
and side containment to prevent infants from moving out of position. In 
addition, CPSC staff has worked with the ASTM subcommittee on the 
warnings and instructions to provide consumers with adequate 
information to use the product correctly.

F. Miscellaneous Product-Related Issues

    CPSC considers incidents in this category (involving such hazards 
as stray objects, incomplete packaging, missing parts, and noxious 
odors) to present manufacturing quality control issues, not safety-
related issues. Therefore, these incidents are not addressable by this 
standard. Requirements relating to other miscellaneous product-related 
issues, such as prevention of rough finishes, sharp edges, and points 
are included in the general requirements of ASTM F3118-17. The 
voluntary standard also includes performance requirements for the 
stability of infant, newborn, and compact inclined sleep products. CPSC 
evaluated these requirements and concludes that they are adequate to 
address this hazard pattern.

G. Electrical Issues

    Since CPSC staff began monitoring the incident reports for inclined 
sleep products, incidents involving electrical issues have risen from 1 
percent to 3 percent of the total reported incidents. One thermal burn 
injury was reported in this category. CPSC staff recently shared this 
new data with the ASTM subcommittee and suggested that electrical 
requirements similar to those in other juvenile products be added to 
F3118. The Commission requests comments regarding inclusion of 
electrical requirements to prevent further additional incidents, such 
as overheating, melting battery compartments, and thermal burns.

H. Unspecified Falls

    There were eight reports of falls from the product with little 
detail on the incidents that led to the injury. Without details, it is 
unclear how the incident occurred or if it would be addressed by any 
performance standard. However, ASTM F3118-17 includes stability and 
containment requirements, as described in earlier sections, which 
address known hazard patterns that could result in falls.

I. Consumer Comments

    This category contained 23 reports from consumers about perceived 
product hazards that did not result in incidents. CPSC staff reviewed 
the reports and determined that the information did not describe a 
hazardous situation or a situation not already addressed in the ASTM 
standard.

VII. Proposed Standard for Infant Inclined Sleep Products

    As discussed in the previous section, most of the requirements of 
ASTM F3118-17 are sufficient to reduce the risk of injury posed by 
inclined sleep products. However, CPSC concludes that the accessory 
definition should be modified by removing ``rigid frame'' from the 
definition to further reduce the risk of injury associated with product 
use. ASTM F3118-17 defines

[[Page 16969]]

``accessory inclined sleep product'' as ``a rigid framed inclined sleep 
product that is intended to provide sleeping accommodations for infants 
or newborns and attaches to or is supported by another product.'' 
During 2016 ASTM subcommittee meetings, CPSC staff became aware of a 
new product that ASTM subcommittee members agreed should be classified 
as an accessory inclined sleep product, except for the fact that the 
product did not have a ``rigid frame.'' The subcommittee members agreed 
that ``rigid frame'' should be removed from the accessory definition. 
CPSC agrees with this approach and therefore proposes to incorporate by 
reference ASTM F3118-17 with a modification that would remove the 
phrase ``rigid frame'' from the definition of ``accessory inclined 
sleep product.''

VIII. Proposed Amendment to 16 CFR Part 1112 To Include NOR for Infant 
Inclined Sleep Products

    The CPSA establishes certain requirements for product certification 
and testing. Products subject to a consumer product safety rule under 
the CPSA, or to a similar rule, ban, standard or regulation under any 
other act enforced by the Commission, must be certified as complying 
with all applicable CPSC-enforced requirements. 15 U.S.C. 2063(a). 
Certification of children's products subject to a children's product 
safety rule must be based on testing conducted by a CPSC-accepted third 
party conformity assessment body. Id. 2063(a)(2). The Commission must 
publish an NOR for the accreditation of third party conformity 
assessment bodies to assess conformity with a children's product safety 
rule to which a children's product is subject. Id. 2063(a)(3). Thus, 
the proposed rule for 16 CFR part 1236, Standard Consumer Safety 
Specification for Infant Inclined Sleep Products, if issued as a final 
rule, would be a children's product safety rule that requires the 
issuance of an NOR.
    The Commission published a final rule, Requirements Pertaining to 
Third Party Conformity Assessment Bodies, 78 FR 15836 (March 12, 2013), 
codified at 16 CFR part 1112 (``part 1112'') and effective on June 10, 
2013, which establishes requirements for accreditation of third party 
conformity assessment bodies to test for conformity with a children's 
product safety rule in accordance with section 14(a)(2) of the CPSA. 
Part 1112 also codifies all of the NORs issued previously by the 
Commission.
    All new NORs for new children's product safety rules, such as the 
inclined sleep products standard, require an amendment to part 1112. To 
meet the requirement that the Commission issue an NOR for the inclined 
sleep products standard, as part of this NPR, the Commission proposes 
to amend the existing rule that codifies the list of all NORs issued by 
the Commission to add inclined sleep products to the list of children's 
product safety rules for which the CPSC has issued an NOR.
    Test laboratories applying for acceptance as a CPSC-accepted third 
party conformity assessment body to test to the new standard for 
inclined sleep products would be required to meet the third party 
conformity assessment body accreditation requirements in part 1112. 
When a laboratory meets the requirements as a CPSC-accepted third party 
conformity assessment body, the laboratory can apply to the CPSC to 
have 16 CFR part 1236, Standard Consumer Safety Specification for 
Infant Inclined Sleep Products, included in the laboratory's scope of 
accreditation of CPSC safety rules listed for the laboratory on the 
CPSC Web site at: www.cpsc.gov/labsearch.

IX. Proposed Amendment to Definitions in Consumer Registration Rule

    The statutory definition of ``durable infant or toddler product'' 
in section 104(f) applies to all of section 104 of the CPSIA. In 
addition to requiring the Commission to issue safety standards for 
durable infant or toddler products, section 104 of the CPSIA also 
directed the Commission to issue a rule requiring that manufacturers of 
durable infant or toddler products establish a program for consumer 
registration of those products. Public Law 110-314, section 104(d).
    Section 104(f) of the CPSIA defines the term ``durable infant or 
toddler product'' and lists examples of such products:
    (f) Definition Of Durable Infant or Toddler Product. As used in 
this section, the term ``durable infant or toddler product''--
    (1) means a durable product intended for use, or that may be 
reasonably expected to be used, by children under the age of 5 years; 
and
    (2) includes--
    (A) full-size cribs and nonfull-size cribs;
    (B) toddler beds;
    (C) high chairs; booster chairs, and hook-on-chairs;
    (D) bath seats;
    (E) gates and other enclosures for confining a child;
    (F) play yards;
    (G) stationary activity centers;
    (H) infant carriers;
    (I) strollers;
    (J) walkers;
    (K) swings; and
    (L) bassinets and cradles.

Public Law 110-314, section 104(f).
    The infant inclined sleep products safety standard is an outgrowth 
of the bassinet safety standard. When considering the bassinet 
standard, the Commission stated that a separate standard targeted 
specifically to inclined sleep products would more effectively address 
the hazards associated with those products. 77 FR 64055, 64059 (Oct. 
18, 2012). Therefore, CPSC staff began working with ASTM to develop a 
voluntary standard that would cover the wide array of products on the 
market that provide infants and toddlers with inclined sleeping 
environments. Inclined sleep products, like bassinets, are thus durable 
products within the meaning of section 104 of the CPSIA.
    Because the inclined sleep product standard is an outgrowth of the 
bassinet standard, inclined sleep products may be considered a sub-
category of bassinets. To provide greater clarity that inclined sleep 
products are durable infant or toddler products, the Commission 
proposes to amend the Commission's consumer registration rule to 
explicitly include inclined sleep products.
    In 2009, the Commission issued a rule implementing the consumer 
registration requirement. 16 CFR part 1130. As the CPSIA directs, the 
consumer registration rule requires each manufacturer of a durable 
infant or toddler product to: provide a postage-paid consumer 
registration form with each product; keep records of consumers who 
register their products with the manufacturer; and permanently place 
the manufacturer's name and certain other identifying information on 
the product. When the Commission issued the consumer registration rule, 
the Commission identified six additional products as ``durable infant 
or toddler products'':
    [ssquf] Children's folding chairs;
    [ssquf] changing tables;
    [ssquf] infant bouncers;
    [ssquf] infant bathtubs;
    [ssquf] bed rails; and
    [ssquf] infant slings.

16 CFR 1130.2. The Commission stated that the specified statutory 
categories were not exclusive, but that the Commission should 
explicitly identify the product categories that are covered. The 
preamble to the 2009 final consumer registration rule states: ``Because 
the statute has a broad

[[Page 16970]]

definition of a durable infant or toddler product but also includes 12 
specific product categories, additional items can and should be 
included in the definition, but should also be specifically listed in 
the rule.'' 74 FR 68668, 68669 (Dec. 29, 2009).
    In this document, the Commission proposes to amend the definition 
of ``durable infant or toddler product'' in the consumer registration 
rule to clarify that inclined sleep products fall within the term 
``durable infant or toddler product'' as used in the product 
registration card rule and section 104 of the CPSIA.

X. Incorporation by Reference

    The Commission proposes to incorporate by reference ASTM F3118-17, 
with one modification to the standard, discussed above. The Office of 
the Federal Register (OFR) has regulations concerning incorporation by 
reference. 1 CFR part 51. For a proposed rule, agencies must discuss in 
the preamble of the NPR ways that the materials the agency proposes to 
incorporate by reference are reasonably available to interested persons 
or how the agency worked to make the materials reasonably available. In 
addition, the preamble of the proposed rule must summarize the 
material. 1 CFR 51.5(a).
    In accordance with the OFR's requirements, section V.B. of this 
preamble summarizes the provisions of ASTM F3118-17 that the Commission 
proposes to incorporate by reference. ASTM F3118-17 is copyrighted. By 
permission of ASTM, the standard can be viewed as a read-only document 
during the comment period on this NPR, at: http://www.astm.org/cpsc.htm. Interested persons may also purchase a copy of ASTM F3118-17 
from ASTM International, 100 Bar Harbor Drive, P.O. Box 0700, West 
Conshohocken, PA 19428; http://www.astm.org/cpsc.htm. One may also 
inspect a copy at CPSC's Office of the Secretary, U.S. Consumer Product 
Safety Commission, Room 820, 4330 East West Highway, Bethesda, MD 
20814, telephone 301-504-7923.

XI. Effective Date

    The Administrative Procedure Act (APA) generally requires that the 
effective date of a rule be at least 30 days after publication of the 
final rule. 5 U.S.C. 553(d). ASTM F3118-17 is a new voluntary standard 
that covers a variety of products whose manufacturers may not be aware 
that their product must comply. The Commission is proposing to 
incorporate by reference ASTM F3118-17, with one modification. To allow 
time for infant inclined sleep product manufacturers to bring their 
products into compliance after a final rule is issued, the Commission 
is proposing an effective date of 12 months after publication of the 
final rule in the Federal Register for products manufactured or 
imported on or after that date. The Commission believes that most firms 
should be able to comply with the 12-month timeframe, but asks for 
comments on the proposed 12-month effective date. We also propose a 12-
month effective date for the amendments to parts 1112 and 1130.

XII. Regulatory Flexibility Act

A. 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 publishes an NPR. 5 U.S.C. 603. Section 605 of 
the RFA provides that an IRFA is not required if the agency certifies 
that the rule will not, if promulgated, have a significant economic 
impact on a substantial number of small entities. Staff could not rule 
out a significant economic impact for six of the 10 known small 
suppliers of inclined sleep products to the U.S. market. Accordingly, 
staff prepared an IRFA and poses several questions for public comment 
to help staff assess the rule's potential impact on small businesses.
    The IRFA must describe the impact of the proposed rule on small 
entities and identify significant alternatives that accomplish the 
statutory objectives and minimize any significant economic impact of 
the proposed rule on small entities. Specifically, the IRFA must 
contain:
    [ssquf] A description of the reasons why action by the agency is 
being considered;
    [ssquf] a succinct statement of the objectives of, and legal basis 
for, the proposed rule;
    [ssquf] a description of, and where feasible, an estimate of the 
number of small entities to which the proposed rule will apply;
    [ssquf] 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 type of professional skills necessary for the preparation of 
reports or records; and
    [ssquf] identification, to the extent possible, of all relevant 
federal rules that may duplicate, overlap, or conflict with the 
proposed rule; and
    In addition, the IRFA must describe any significant alternatives to 
the proposed rule that accomplish the stated objectives of applicable 
statutes and minimize any significant economic impact of the proposed 
rule on small entities.

B. Market Description

    The Commission has identified 25 firms supplying inclined sleep 
products to the U.S. market. Sixteen of these firms produce infant 
hammocks. The majority of the 25 known firms (including 12 
manufacturers and five importers) are domestic. The remaining eight 
firms (seven manufacturers and one retailer) are foreign.

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

    As discussed in section I. of this preamble, section 104 of the 
CPSIA requires the CPSC to promulgate consumer product safety standards 
for durable infant or toddler products that are substantially the same 
as, or more stringent than, the relevant voluntary standard. As 
explained in section IX of this preamble, ASTM's standard for infant 
inclined sleep products developed out of CPSC's efforts on bassinets. 
CPSC and ASTM determined that a separate standard was necessary for 
these products.

D. Impact of Proposed 16 CFR Part 1236 on Small Businesses

    CPSC staff is aware of approximately 25 firms currently marketing 
inclined sleep products in the United States, 17 of which are domestic. 
Under U.S. Small Business Administration (SBA) guidelines, a 
manufacturer of inclined sleep products is considered small if it has 
500 or fewer employees; and importers and wholesalers are considered 
small if they have 100 or fewer employees. Staff limited its analysis 
to domestic firms because SBA guidelines and definitions pertain to 
U.S.-based entities. Based on these guidelines, 14 of the 17 domestic 
firms are small--10 manufacturers and four importers. Additional 
unknown small domestic inclined product suppliers may be operating in 
the U.S. market.
1. Small Manufacturers
i. Small Manufacturers With Compliant Inclined Sleep Products
    Of the ten small manufacturers, three produce inclined sleep 
products that are likely to comply with ASTM F3118-17 which is in 
effect for testing purposes

[[Page 16971]]

under the Juvenile Product Manufactures Association (JPMA) 
certification program. Although only one large firm is currently listed 
on the JPMA Web site as having certified inclined sleep products, we 
expect the products of these three small manufacturers to comply 
because the firms were involved in the standard's development. In 
general, staff expects that small manufacturers whose inclined sleep 
products comply with the current voluntary standard will remain 
compliant with the voluntary standard as it evolves, because they 
follow and, in this case, actively participate in the standard 
development process. Therefore, compliance with the voluntary standard 
is part of an established business practice. ASTM F3118-17 is the 
version of the voluntary standard upon which the staff-recommended 
mandatory standard is based; therefore, we expect these firms are 
already in compliance.
    In light of the expectation that these firms will already be 
complying with ASTM F3118-17 by the time it becomes effective, and that 
none would be impacted by the proposed change to the definition of an 
``accessory inclined sleep product,'' the economic impact of the 
proposed rule should be small for the three small domestic 
manufacturers supplying compliant inclined sleep products to the U.S. 
market.
ii. Small Manufacturers With Noncompliant Inclined Sleep Products
    Seven small manufacturers (two of which would only be included due 
to the proposed change to the definition of an ``accessory inclined 
sleep product'') produce inclined sleep products that do not comply 
with the voluntary standard. CPSC cannot rule out a significant 
economic impact for six small manufacturers, but was able to rule out a 
significant impact for one small manufacturer (one of the manufacturers 
that the standard covers only as a result of CPSC's proposed 
modification). These firms may not be aware of the ASTM voluntary 
standard or may believe that their product falls outside the scope of 
the standard. All six firms are likely to require modifications, some 
of which may be significant, to meet the base requirements of the 
voluntary standard. Four of these firms (two of which would be covered 
by the standard as a result of the proposed modification to the 
standard) may not currently have warning labels or instruction manuals 
for their products, and therefore may be required to make modifications 
to comply with the ASTM standard.
    The extent and cost of the changes that these firms would be 
required to make to comply with the standard cannot be determined and, 
therefore, staff cannot rule out a significant economic impact. 
Additionally, the four firms that do not currently have warning labels 
or instruction manuals for their products appear to very small, 
supplying very few products in very low quantities. The cost of 
developing warning labels and instruction manuals is, therefore, more 
likely to have a significant economic impact on these firms, as their 
resources may be more limited.
    Additionally, staff believes that as many as five of the seven 
firms with noncompliant inclined sleep products may not be aware of the 
inclined sleep products voluntary standard, which could increase the 
time period required for firms to come into compliance. The Commission 
proposes a longer than usual effective date of 12 months to give firms 
time to familiarize themselves with the scope of the new standard and 
develop new/modified products if needed.
    The Commission requests information on the changes that may be 
required to meet the voluntary standard ASTM F3118-17, in particular 
whether redesign or retrofitting would be necessary, as well as the 
associated costs and time frame for the changes.
Third Party Testing Costs for Small Manufacturers
    Under section 14 of the CPSA, when new inclined sleep product 
requirements become effective, all manufacturers will be subject to the 
third party testing and certification requirements under the 1107 rule. 
Third party testing will include any physical and mechanical test 
requirements specified in the final inclined sleep products rule. 
Manufacturers and importers should already be conducting required lead 
testing for inclined sleep products. Third party testing costs are in 
addition to the direct costs of meeting the inclined sleep product 
standard.
    Three of the small inclined sleep product manufacturers are already 
testing their products to verify compliance with the ASTM standard, 
though not necessarily by a third party. For these manufacturers, the 
impact to testing costs would be limited to the difference between the 
cost of third party tests and the cost of current testing regimes. 
Staff contacted manufacturers of inclined sleep products. They estimate 
that third party testing inclined sleep products to the ASTM voluntary 
standard would cost about $300 to $1,000 per model sample. For the 
three small manufacturers that are already testing, the incremental 
costs are unlikely to be economically significant, and informal 
discussions with several firms actively participating in the ASTM 
voluntary standard development process suggest such.
    For the seven small manufacturers that are not currently testing 
their products to verify compliance with the ASTM standard, the impact 
of third party testing, by itself, could result in significant costs 
for one firm. Staff made this determination based on an examination of 
firm revenues from recent Dun & Bradstreet or ReferenceUSAGov reports. 
Although staff does not know how many samples will be needed to meet 
the ``high degree of assurance'' criterion required in the 1107 rule, 
testing costs could exceed one percent of gross revenue with as few as 
four samples tested for this firm (assuming high-end testing costs of 
$1,000 per model sample). Revenue information was not available for the 
four small manufacturers and, therefore, no impact evaluation could be 
made. All four firms are very small, however, so staff cannot rule out 
a significant impact.
    The Commission welcomes comments regarding overall testing costs 
and incremental costs due to third party testing (i.e., how much does 
moving from a voluntary to a mandatory third party testing regime add 
to testing costs, in total and on a per test basis). In addition, the 
Commission welcomes comments regarding the number of inclined sleep 
product units that typically need to be tested to provide a ``high 
degree of assurance.''
2. Small Importers
    Four small importers supply inclined sleep products to the U.S. 
market (two of which are multi-use products that the clarified scope is 
meant to address); none of their products comply with the ASTM 
voluntary standard. Staff has insufficient information to rule out a 
significant impact for these firms, particularly given the lack of 
sales revenue data. Whether there is a significant economic impact will 
depend upon the extent of the changes required to come into compliance 
and the response of their supplying firms. Manufacturers may pass onto 
importers any increase in production costs that manufacturers incur as 
a result of changes made to meet the mandatory standard. These costs 
would include those associated with coming into compliance with the 
voluntary standard, as well as those associated with the proposed 
modification to the voluntary standard.

[[Page 16972]]

    Two of the four known importers are tied directly to their foreign 
suppliers. Therefore, finding an alternative supply source would not be 
a viable alternative. However, the foreign suppliers to these firms may 
have an incentive to work with their U.S. distributors to maintain an 
American market presence. Discontinuing the sale of inclined sleep 
products would likely have a significant impact on one of these firms 
because their entire product line consists of inclined sleep products 
and accessory products. The remaining two small importers do not supply 
many other products, and as a result, discontinuing the sale of 
inclined sleep products could have a significant impact on those firms 
as well.
    As with manufacturers, importers will be subject to third party 
testing and certification requirements, and consequently, will be 
subject to costs similar to those for manufacturers if their supplying 
foreign firm(s) does not perform third party testing. The four known 
small importers do not currently test their products to verify 
compliance with the ASTM standard. Therefore, the full extent of third 
party testing costs would be due to these small importers having to 
comply with a mandatory standard (and not related to CPSC's proposed 
modification to the standard). Based on the revenue data available, it 
does not appear that third party testing will have a significant impact 
on one of the four small importers. However, there was no revenue data 
available for the remaining three small importers of inclined sleep 
products not believed to comply with the voluntary ASTM standard. 
Therefore, we had no basis for evaluating the size of the impact on 
that firm.
3. Summary
    In summary, based upon current information, we cannot rule out a 
significant economic impact for six of the ten firms operating in the 
U.S. market for inclined sleep products. The 12-month proposed 
effective date would help to spread costs over a longer time-frame.
4. Alternatives
    At least three alternatives are available to minimize the economic 
impact on small entities supplying inclined sleep products while also 
meeting the statutory objectives:
i. Adopt ASTM F3118-17 With No Modifications
    Section 104 of the CPSIA requires that the Commission promulgate a 
standard that is either substantially the same as the voluntary 
standard or more stringent if the Commission determines that more 
stringent standards would further reduce the risk of injury. Therefore, 
adopting ASTM F3118-17 with no modifications is the least stringent 
rule that could be promulgated for inclined sleep products. Although it 
would not reduce the testing costs triggered by the rule, this 
alternative would eliminate any economic impact on the two firms that 
would be subject to the rule as a result of the proposed modification 
to the definition of ``accessory inclined sleep product.'' However, 
adopting ASTM F3118-17 with no modifications would not address the risk 
of injuries and death in what are clearly inclined sleep product 
accessories except that they do not have rigid frames. Additionally, 
the impact on one of these firms would be limited to warning label and 
instructional literature changes.
ii. Allow a Later Effective Date
    The Commission could reduce the proposed rule's impact on small 
businesses by setting a later effective date. A later effective date 
would reduce the economic impact on firms in two ways. Firms would be 
less likely to experience a lapse in production/importation, which 
could result if they are unable to bring their products into compliance 
and certify compliance based on third party tests within the required 
timeframe. Also, firms could spread the costs of developing compliant 
products over a longer time period, thereby reducing their annual 
costs, as well as the present value of their total costs (i.e., they 
could time their spending to better accommodate their individual 
circumstances). The Commission believes that the proposed 12-month 
effective date would allow firms that may not be aware of the ASTM 
voluntary standard or may believe that their product falls outside the 
scope of the standard time to make this determination and bring their 
products into compliance. However, an even later effective date would 
further reduce these costs.
iii. Time the Effective Date for Warning Labels and Instruction Manuals 
To Coincide With the Timing of Model Changes in the Durable Nursery 
Product Market
    The Commission could time the effective date for warning labels and 
instruction manuals to coincide with the timing of model changes in the 
durable nursery product market. This alternative may reduce the impact 
on all of the known small businesses supplying inclined sleep products 
to the U.S. market. In particular, this timing could reduce costs 
associated with inventory issues that may result from changes that 
companies may need to make to warning labels and instruction manuals 
that are keyed to model and SKU numbers. The Commission requests 
comments on the extent of cost savings that may result from timing the 
effective date of the rule to coincide with the timing of model changes 
within the industry.

E. Impact of Proposed 16 CFR Part 1112 Amendment on Small Businesses

    This proposed rule would also amend part 1112 to add inclined sleep 
products to the list of children's products for which the Commission 
has issued an NOR. As required by the RFA, staff conducted a Final 
Regulatory Flexibility Analysis (FRFA) when the Commission issued the 
part 1112 rule (78 FR 15836, 15855-58). The FRFA concluded that the 
accreditation requirements would not have a significant adverse impact 
on a substantial number of small testing laboratories because no 
requirements were imposed on test laboratories that did not intend to 
provide third party testing services. The only test laboratories that 
were expected to provide such services were those that anticipated 
receiving sufficient revenue from the mandated testing to justify 
accepting the requirements as a business decision.
    Based on similar reasoning, amending 16 CFR part 1112 to include 
the NOR for the infant inclined sleep product standard will not have a 
significant adverse impact on small test laboratories. Moreover, based 
upon the number of test laboratories in the United States that have 
applied for CPSC acceptance of accreditation to test for conformance to 
other mandatory juvenile product standards, we expect that only a few 
test laboratories will seek CPSC acceptance of their accreditation to 
test for conformance with the infant inclined sleep product standard. 
Most of these test laboratories will have already been accredited to 
test for conformance to other mandatory juvenile product standards, and 
the only costs to them would be the cost of adding the infant inclined 
sleep product standard to their scope of accreditation. As a 
consequence, the Commission certifies that the proposed NOR amending 16 
CFR part 1112 to include the infant inclined sleep products standard 
will not have a significant impact on a substantial number of small 
entities.

F. Impact of Product Registration Rule, 16 CFR Part 1130, on Small 
Businesses

    As discussed above in Sections I and IX, the Commission proposes to 
amend

[[Page 16973]]

the definition of ``durable infant or toddler product'' in the consumer 
registration rule to reduce any uncertainty as to whether inclined 
sleep products are ``durable infant or toddler products.'' The product 
registration rule requires that firms provide consumers with a postage-
paid consumer registration card with each product, although firms may 
also maintain on-line registration pages as well. The information 
supplied on the cards (but not necessarily the cards themselves) must 
be maintained for a minimum of six years.
    Of the 14 small domestic firms identified by staff as supplying 
inclined sleep products to the U.S. market, it is likely that six will 
not be significantly impacted by the requirements of the product 
registration rule. Four of the six firms supply combination products, 
such as play yards with accessory inclined sleep products that are 
already covered under the product registration rule. All six firms have 
other products that are already subject to the product registration 
rule, as well as on-line product registration sites. Therefore, these 
firms likely already have the infrastructure to maintain the records 
and would, at most, require cards to be printed for, and shipped with, 
their inclined sleep products.
    To comply with the product registration rule, the remaining eight 
firms (most of which produce only infant hammocks on a very small 
scale) would need to develop a postage-paid product registration card 
for their inclined sleep products, include the card with their other 
packaged materials, and develop/maintain a system to store the 
information collected. Each model would require a unique registration 
card that clearly identifies the product (e.g., model name, model 
number, product identification number, or other identifier typically 
used by the firm). For many of the components that would make up the 
cost for firms that supply inclined sleep products to comply with 
product registration card requirements, cost would depend on the number 
of products an inclined sleep products supplier sells annually. Such 
cost components include card design, paper supplies, cutting and 
printing, postage, card attachment to product, and data entry, storage, 
and maintenance for returned cards. The Directorate for Economic 
Analysis's memorandum at Tab F of the staff's briefing package provides 
detailed information on the range of costs for individual elements of 
inclined sleep product suppliers complying with product registration 
card requirements. [https://www.cpsc.gov/s3fs-public/Proposed%20Rule%20-%20Safety%20Standard%20for%20Infant%20Inclined%20Sleep%20Products%20-%20March%2022%2C%202017.pdf] The prices for the 
inclined sleep products supplied by the eight firms likely to be 
impacted by the product registration rule range from $30 to $250. Firms 
selling inclined sleep products on the high end of that range may be 
able to easily absorb these costs if they sell a larger volume (for 
example, a $1.10 per product cost increase represents about 0.004% of a 
$250 inclined sleep product), while it may be more difficult for a 
company selling their inclined sleep products for $30 to absorb or pass 
on their cost increase even if they are a relatively high volume firm 
(a $1.10 per product cost increase represents about 0.037% of a $30 
inclined sleep product).

XIII. Environmental Considerations

    The Commission's regulations address whether the agency is required 
to prepare an environmental assessment or an environmental impact 
statement. Under these regulations, certain categories of CPSC actions 
normally have ``little or no potential for affecting the human 
environment,'' and therefore do not require an environmental assessment 
or an environmental impact statement. Safety standards providing 
requirements for products come under this categorical exclusion. 16 CFR 
1021.5(c)(1). The proposed rule falls within the categorical exclusion.

XIV. Paperwork Reduction Act

    This proposed rule contains information collection requirements 
that are subject to public comment and review by the Office of 
Management and Budget (OMB) under the Paperwork Reduction Act of 1995 
(44 U.S.C. 3501-3521). In this document, pursuant to 44 U.S.C. 
3507(a)(1)(D), we set forth:
    [ssquf] A title for the collection of information;
    [ssquf] a summary of the collection of information;
    [ssquf] a brief description of the need for the information and the 
proposed use of the information;
    [ssquf] a description of the likely respondents and proposed 
frequency of response to the collection of information;
    [ssquf] an estimate of the burden that shall result from the 
collection of information; and
    [ssquf] notice that comments may be submitted to the OMB.
    Title: Safety Standard for Infant Inclined Sleep Products.
    Description: The proposed rule would require each inclined sleep 
product to comply with ASTM F3118-17, Standard Consumer Safety 
Specification for Infant Inclined Sleep Products, with one 
modification. Sections 8 and 9 of ASTM F3118-17 contain requirements 
for marking, labeling, and instructional literature. These requirements 
fall within the definition of ``collection of information,'' as defined 
in 44 U.S.C. 3502(3).
    Description of Respondents: Persons who manufacture or import 
infant inclined sleep products.
    Estimated Burden: We estimate the burden of this collection of 
information as follows:

                                                       Table 1--Estimated Annual Reporting Burden
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Number of      Frequency  of    Total  annual      Hours per      Total  burden
                           16 CFR section                              respondents       responses        responses         response          hours
--------------------------------------------------------------------------------------------------------------------------------------------------------
1236...............................................................              25                2               50                1               50
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Our estimate is based on the following:
    Twenty-five known entities supply inclined sleep products to the 
U.S. market may need to make some modifications to their existing 
warning labels. We estimate that the time required to make these 
modifications is about 1 hour per model. Based on an evaluation of 
supplier product lines, each entity supplies an average of 2 models of 
inclined sleep products; therefore, the estimated burden associated 
with labels is 1 hour per model x 25 entities x 2 models per entity = 
50 hours. We estimate the hourly compensation for the time required to 
create and update labels is $33.30 (U.S. Bureau of Labor Statistics, 
``Employer Costs for Employee Compensation,'' September 2016, Table

[[Page 16974]]

9, total compensation for all sales and office workers in goods-
producing private industries: http://www.bls.gov/ncs/). Therefore, the 
estimated annual cost to industry associated with the labeling 
requirements is $1,665 ($33.30 per hour x 50 hours = $1,665). No 
operating, maintenance, or capital costs are associated with the 
collection.
    Section 9.1 of ASTM F3118-17 requires instructions to be supplied 
with the product. Under the OMB's regulations (5 CFR 1320.3(b)(2)), the 
time, effort, and financial resources necessary to comply with a 
collection of information that would be incurred by persons in the 
``normal course of their activities'' are excluded from a burden 
estimate, where an agency demonstrates that the disclosure activities 
required to comply are ``usual and customary.'' We are unaware of 
inclined sleep products that generally require use instructions but 
lack such instructions. However, it is possible that some firms selling 
homemade infant hammocks on a very small scale may not supply 
instruction manuals as part of their ``normal course of activities.'' 
Based on information collected for the infant slings rulemaking, staff 
tentatively estimates that each small entity supplying homemade infant 
hammocks might require 50 hours to develop an instruction manual to 
accompany their products. It is uncertain how many homemade infant 
hammock suppliers are in operation at any point in time, but based on 
staff's review of the marketplace, 50 firms seems like a reasonable 
outside bound. These firms typically supply only one infant hammock 
model. Therefore, the costs of designing an instruction manual for 
these firms could be as high as $82,550 (50 hours per model x 50 
entities x 1 models per entity = 2,500 hours x $33.02 per hour = 
$82,550). Not all firms would incur these costs every year, but new 
firms that enter the market would and this is a highly fluctuating 
market. Other firms are estimated to have no burden hours associated 
with section 9.1 of ASTM F3118-17 because any burden associated with 
supplying instructions with inclined sleep products would be ``usual 
and customary'' and not within the definition of ``burden'' under the 
OMB's regulations.
    Based on this analysis, staff estimates that the proposed standard 
for inclined sleep products would impose a burden to industry of 2,550 
hours at a cost of $84,915 annually.
    In compliance with the Paperwork Reduction Act of 1995 (44 U.S.C. 
3507(d)), we have submitted the information collection requirements of 
this rule to the OMB for review. Interested persons are requested to 
submit comments regarding information collection by May 8, 2017, to the 
Office of Information and Regulatory Affairs, OMB (see the ADDRESSES 
section at the beginning of this notice). Pursuant to 44 U.S.C. 
3506(c)(2)(A), we invite comments on:
    [ssquf] Whether the collection of information is necessary for the 
proper performance of the CPSC's functions, including whether the 
information will have practical utility;
    [ssquf] the accuracy of the CPSC's estimate of the burden of the 
proposed collection of information, including the validity of the 
methodology and assumptions used;
    [ssquf] ways to enhance the quality, utility, and clarity of the 
information to be collected;
    [ssquf] ways to reduce the burden of the collection of information 
on respondents, including the use of automated collection techniques, 
when appropriate, and other forms of information technology; and
    [ssquf] the estimated burden hours associated with label 
modification, including any alternative estimates.

XV. Preemption

    Section 26(a) of the CPSA, 15 U.S.C. 2075(a), provides that when a 
consumer product safety standard is in effect and applies to a product, 
no state or political subdivision of a state may either establish or 
continue in effect a standard or regulation that prescribes 
requirements for the performance, composition, contents, design, 
finish, construction, packaging, or labeling of such product dealing 
with the same risk of injury unless the state requirement is identical 
to the federal standard. Section 26(c) of the CPSA also provides that 
states or political subdivisions of states may apply to the Commission 
for an exemption from this preemption under certain circumstances. 
Section 104(b) of the CPSIA refers to the rules to be issued under that 
section as ``consumer product safety rules.'' Therefore, the preemption 
provision of section 26(a) of the CPSA would apply to a rule issued 
under section 104.

XVI. Request for Comments

    This NPR begins a rulemaking proceeding under section 104(b) of the 
CPSIA to issue a consumer product safety standard for inclined sleep 
products, to amend part 1112 to add inclined sleep products to the list 
of children's product safety rules for which the CPSC has issued an 
NOR, and to amend part 1130 to identify inclined sleep products as a 
durable infant or toddler product subject to CPSC consumer registration 
requirements. We invite all interested persons to submit comments on 
any aspect of this proposal. In addition to requests for specific 
comments elsewhere in this NPR, the Commission requests comments on the 
standard's scope language, the proposed effective date, and the costs 
of compliance with, and testing to, the proposed inclined sleep 
products safety standard. During the comment period, the ASTM F3118-17 
Standard Consumer Safety Specification for Infant Inclined Sleep 
Products, is available as a read-only document at: http://www.astm.org/cpsc.htm.
    Comments should be submitted in accordance with the instructions in 
the ADDRESSES section at the beginning of this notice.

List of Subjects

16 CFR Part 1112

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

16 CFR Part 1130

    Administrative practice and procedure, Business and industry, 
Consumer protection, Reporting and recordkeeping requirements.

16 CFR Part 1236

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

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

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

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

    Authority: 15 U.S.C. 2063; Pub. L. 110-314, section 3, 122 Stat. 
3016, 3017 (2008).

0
2. Amend Sec.  1112.15 by adding paragraph (b)(46) to read as follows:


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

* * * * *
    (b) * * *
    (46) 16 CFR part 1236, Safety Standard for Infant Inclined Sleep 
Products.
* * * * *
0
3. The authority citation for part 1130 continues to read as follows:


[[Page 16975]]


    Authority: 15 U.S.C. 2056a, 2056(b).

0
4. Amend Sec.  1130.2 by adding paragraph (a)(19) to read as follows:

PART 1130--REQUIREMENTS FOR CONSUMER REGISTRATION OF DURABLE INFANT 
OR TODDLER PRODUCTS


Sec.  1130.2  Definitions.

* * * * *
    (a) * * *
    (19) Infant inclined sleep products.
* * * * *
0
5. Add part 1236 to read as follows:

PART 1236--SAFETY STANDARD FOR INFANT INCLINED SLEEP PRODUCTS

Sec.
1236.1 Scope.
1236.2 Requirements for infant inclined sleep products.

    Authority: Sec. 104, Pub. L. 110-314, 122 Stat. 3016 (August 14, 
2008); Sec. 3, Pub. L. 112-28, 125 Stat. 273 (August 12, 2011).


Sec.  1236.1  Scope.

    This part establishes a consumer product safety standard for infant 
inclined sleep products, including newborn inclined sleep products, 
compact inclined sleep products, and accessory inclined sleep products.


Sec.  1236.2  Requirements for infant inclined sleep products.

    (a) Except as provided in paragraph (b) of this section, each 
infant inclined sleep product must comply with all applicable 
provisions of ASTM F3118-17, Standard Consumer Safety Specification for 
Infant Inclined Sleep Products (approved on January 1, 2017). The 
Director of the Federal Register approves this incorporation by 
reference in accordance with 5 U.S.C. 552(a) and 1 CFR part 51. You may 
obtain a copy from ASTM International, 100 Bar Harbor Drive, P.O. Box 
0700, West Conshohocken, PA 19428; http://www.astm.org/cpsc.htm. You 
may inspect a copy at the Office of the Secretary, U.S. Consumer 
Product Safety Commission, Room 820, 4330 East West Highway, Bethesda, 
MD 20814, telephone 301-504-7923, or at the National Archives and 
Records Administration (NARA). For information on the availability of 
this material at NARA, call 202-741-6030, or go to: http://www.archives.gov/federal_register/code_of_federalregulations/ibr_locations.html.
    (b) Instead of complying with section 3.1.1 of ASTM F3118-17, 
comply with the following:
    (1) 3.1.1 accessory inclined sleep product, n--an inclined sleep 
product that is intended to provide sleeping accommodations for infants 
or newborns and attaches to or is supported by another product.
    (2) [Reserved]

    Dated: April 3, 2017.
Todd A. Stevenson,
Secretary, Consumer Product Safety Commission.
[FR Doc. 2017-06875 Filed 4-6-17; 8:45 am]
 BILLING CODE 6355-01-P



                                                                            Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules                                            16963

                                                 (GPS) standard instrument approach                      § 71.1       [Amended]                                   inclined sleep products as a durable
                                                 procedures for Finleyville Airpark.                     ■ 2. The incorporation by reference in                   infant or toddler product subject to
                                                 Controlled airspace extending upward                    14 CFR 71.1 of FAA Order 7400.11A,                       CPSC’s consumer registration
                                                 from 700 feet above the surface within                  Airspace Designations and Reporting                      requirements.
                                                 a 7.3-mile radius of the airport would be               Points, dated August 3, 2016, effective                  DATES: Submit comments by June 21,
                                                 established for IFR operations.                         September 15, 2016, is amended as                        2017.
                                                    Class E airspace designations are                    follows:
                                                                                                                                                                  ADDRESSES: Comments related to the
                                                 published in Paragraph 6005 of FAA                      Paragraph 6005 Class E Airspace Areas                    Paperwork Reduction Act aspects of the
                                                 Order 7400.11A, dated August 3, 2016,                   Extending Upward From 700 feet or More                   marking, labeling, and instructional
                                                 and effective September 15, 2016, which                 Above the Surface of the Earth.                          literature requirements of the proposed
                                                 is incorporated by reference in 14 CFR                  *        *      *       *      *                         mandatory standard for inclined sleep
                                                 71.1. The Class E airspace designation                                                                           products should be directed to the
                                                                                                         AEA PA E5 Finleyville, PA, [New]
                                                 listed in this document will be                                                                                  Office of Information and Regulatory
                                                 published subsequently in the Order.                    Finleyville Airpark, PA
                                                                                                           (Lat. 40°14′45″ N., long. 80°00′44″ W.)
                                                                                                                                                                  Affairs, the Office of Management and
                                                 Regulatory Notices and Analyses                                                                                  Budget, Attn: CPSC Desk Officer, FAX:
                                                                                                           That airspace extending upward from 700
                                                                                                         feet above the surface within a 7.3-mile
                                                                                                                                                                  202–395–6974, or emailed to oira_
                                                   The FAA has determined that this                      radius of Finleyville Airpark.                           submission@omb.eop.gov.
                                                 proposed regulation only involves an                                                                                Other comments, identified by Docket
                                                 established body of technical                             Issued in College Park, Georgia, on March              No. CPSC–2017–0020, may be
                                                 regulations for which frequent and                      27, 2017.                                                submitted electronically or in writing:
                                                 routine amendments are necessary to                     Joey L. Medders,                                            Electronic Submissions: Submit
                                                 keep them operationally current. It,                    Acting Manager, Operations Support Group,                electronic comments to the Federal
                                                 therefore: (1) Is not a ‘‘significant                   Eastern Service Center, Air Traffic                      eRulemaking Portal at: http://
                                                 regulatory action’’ under Executive                     Organization.                                            www.regulations.gov. Follow the
                                                 Order 12866; (2) is not a ‘‘significant                 [FR Doc. 2017–06754 Filed 4–6–17; 8:45 am]               instructions for submitting comments.
                                                 rule’’ under DOT Regulatory Policies                    BILLING CODE 4910–13–P
                                                                                                                                                                  The Commission does not accept
                                                 and Procedures (44 FR 11034; February                                                                            comments submitted by electronic mail
                                                 26, 1979); and (3) does not warrant                                                                              (email), except through
                                                 preparation of a Regulatory Evaluation                                                                           www.regulations.gov. The Commission
                                                                                                         CONSUMER PRODUCT SAFETY
                                                 as the anticipated impact is so minimal.                                                                         encourages you to submit electronic
                                                                                                         COMMISSION
                                                 Since this is a routine matter that will                                                                         comments by using the Federal
                                                 only affect air traffic procedures and air              16 CFR Parts 1112, 1130, and 1236                        eRulemaking Portal, as described above.
                                                 navigation, it is certified that this                                                                               Written Submissions: Submit written
                                                                                                         [CPSC Docket No. 2017–0020]                              submissions by mail/hand delivery/
                                                 proposed rule, when promulgated, will
                                                 not have a significant economic impact                                                                           courier to: Office of the Secretary,
                                                                                                         Safety Standard for Infant Inclined                      Consumer Product Safety Commission,
                                                 on a substantial number of small entities               Sleep Products
                                                 under the criteria of the Regulatory                                                                             Room 820, 4330 East West Highway,
                                                                                                         AGENCY: Consumer Product Safety                          Bethesda, MD 20814; telephone (301)
                                                 Flexibility Act.
                                                                                                         Commission.                                              504–7923.
                                                 Environmental Review                                                                                                Instructions: All submissions received
                                                                                                         ACTION: Notice of proposed rulemaking.
                                                                                                                                                                  must include the agency name and
                                                    This proposal would be subject to an                 SUMMARY:    The Danny Keysar Child                       docket number for this proposed
                                                 environmental analysis in accordance                    Product Safety Notification Act, section                 rulemaking. All comments received may
                                                 with FAA Order 1050.1F,                                 104 of the Consumer Product Safety                       be posted without change, including
                                                 ‘‘Environmental Impacts: Policies and                   Improvement Act of 2008 (CPSIA),                         any personal identifiers, contact
                                                 Procedures’’ prior to any FAA final                     requires the United States Consumer                      information, or other personal
                                                 regulatory action.                                      Product Safety Commission                                information provided, to: http://
                                                 Lists of Subjects in 14 CFR part 71                     (Commission or CPSC) to promulgate                       www.regulations.gov. Do not submit
                                                                                                         consumer product safety standards for                    confidential business information, trade
                                                  Airspace, Incorporation by reference,                  durable infant or toddler products.                      secret information, or other sensitive or
                                                 Navigation (air).                                       These standards are to be ‘‘substantially                protected information that you do not
                                                                                                         the same as’’ applicable voluntary                       want to be available to the public. If
                                                 The Proposed Amendment
                                                                                                         standards, or more stringent than the                    furnished at all, such information
                                                   In consideration of the foregoing, the                voluntary standard if the Commission                     should be submitted in writing.
                                                 Federal Aviation Administration                         concludes that more stringent                               Docket: For access to the docket to
                                                 proposes to amend 14 CFR part 71 as                     requirements would further reduce the                    read background documents or
                                                 follows:                                                risk of injury associated with the                       comments received, go to: http://
                                                                                                         product. The Commission is proposing                     www.regulations.gov, and insert the
                                                 PART 71—DESIGNATION OF CLASS A,                         a safety standard for infant inclined                    docket number, CPSC–2017–0020, into
                                                 B, C, D, AND E AIRSPACE AREAS; AIR                      sleep products (inclined sleep products)                 the ‘‘Search’’ box, and follow the
nlaroche on DSK30NT082PROD with PROPOSALS




                                                 TRAFFIC SERVICE ROUTES; AND                             in response to the direction under                       prompts.
                                                 REPORTING POINTS                                        section 104(b) of the CPSIA. In addition,                FOR FURTHER INFORMATION CONTACT:
                                                                                                         the Commission is proposing an                           Celestine T. Kish, Project Manager,
                                                 ■ 1. The authority citation for part 71                 amendment to include inclined sleep                      Directorate for Engineering, U.S.
                                                 continues to read as follows:                           products in the list of notice of                        Consumer Product Safety Commission,
                                                   Authority: 49 U.S.C. 106(f), 106(g); 40103,           requirements (NORs) issued by the                        5 Research Place, Rockville, MD 20850;
                                                 40113, 40120; E.O. 10854, 24 FR 9565, 3 CFR,            Commission. The Commission is also                       telephone: (301) 987–2547; email:
                                                 1959–1963 Comp., p. 389.                                proposing to explicitly identify infant                  ckish@cpsc.gov.


                                            VerDate Sep<11>2014   14:51 Apr 06, 2017   Jkt 241001   PO 00000   Frm 00016     Fmt 4702   Sfmt 4702   E:\FR\FM\07APP1.SGM   07APP1


                                                 16964                      Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules

                                                 SUPPLEMENTARY INFORMATION:                              being a durable infant or toddler                      child when placed in the product; can
                                                                                                         product, the Commission proposes to                    either be supported by a frame or other
                                                 I. Background and Statutory Authority
                                                                                                         amend the definition of ‘‘durable infant               structure, such as a ceiling);
                                                    The CPSIA was enacted on August 14,                  or toddler product’’ in the consumer                      D Newborn or infant frame type
                                                 2008. Section 104(b) of the CPSIA, part                 registration rule to explicitly include                (intended to be placed on the floor; self-
                                                 of the Danny Keysar Child Product                       ‘‘infant inclined sleep products.’’                    supporting; typically use a metal frame
                                                 Safety Notification Act, requires the                      Pursuant to section 104(b)(1)(A) of the             with a rigid or semi-rigid sleeping
                                                 Commission to: (1) Examine and assess                   CPSIA, the Commission consulted with                   surface; base may be stationary or allow
                                                 the effectiveness of voluntary consumer                 manufacturers, retailers, trade                        side to side rocking; may be intended
                                                 product safety standards for durable                    organizations, laboratories, consumer                  for use by either newborns or infants, or
                                                 infant or toddler products, in                          advocacy groups, consultants, and                      both, depending on the size);
                                                 consultation with representatives of                    members of the public in the                              D Compact (freestanding with the
                                                 consumer groups, juvenile product                       development of this notice of proposed                 bottom of the seat a maximum of 6
                                                 manufacturers, and independent child                    rulemaking (NPR), largely through the                  inches above the floor; generally
                                                 product engineers and experts; and (2)                  ASTM process.                                          constructed of foam with a fixed seat
                                                 promulgate consumer product safety                         Based on a briefing package prepared                back angle between 10° and 30°;
                                                 standards for durable infant or toddler                 by CPSC staff, the NPR would                           intended to be used on the floor); and
                                                 products. Standards issued under                        incorporate by reference the most recent                  D Newborn or infant inclined sleep
                                                 section 104 are to be ‘‘substantially the               voluntary standard developed by ASTM                   product accessories (intended to
                                                 same as’’ the applicable voluntary                      International, ASTM F3118–17,                          provide sleeping accommodations and
                                                 standards, or more stringent than the                   Standard Consumer Safety                               are attached to or supported in some
                                                 voluntary standard if the Commission                    Specification for Inclined Sleep                       way by another product; a rigid frame
                                                 concludes that more stringent                           Products, with a modification to the                   product that has either a stationary or
                                                 requirements would further reduce the                   standard’s definition of ‘‘accessory.’’                fixed base and in some cases may be
                                                 risk of injury associated with the                      [https://www.cpsc.gov/s3fs-public/                     removed and used independently;
                                                 product.                                                Proposed%20Rule%20-%20Safety%20                        products intended for newborn use have
                                                    Section 104(f)(1) of the CPSIA defines               Standard%20for%20Infant%20Inclined                     a seat back less than 17 inches).
                                                 the term ‘‘durable infant or toddler                    %20Sleep%20Products%20-%20March                           Products intended for use with
                                                 product’’ as ‘‘a durable product                        %2022%2C%202017.pdf] If finalized,                     newborns are generally similar in design
                                                 intended for use, or that may be                        the ASTM standard, as modified, would                  to products intended for infants, except
                                                 reasonably expected to be used, by                                                                             that products intended for use with
                                                                                                         be a mandatory safety rule under the
                                                 children under the age of 5 years.’’ The                                                                       newborns have a seat back length of 17
                                                                                                         Consumer Product Safety Act (CPSA).
                                                 definition lists examples of several                       The testing and certification                       inches or less.
                                                 categories of durable infant or toddler                 requirements of section 14(a) of the
                                                 products, including bassinets and                                                                              B. Definition of ‘‘Infant Inclined Sleep
                                                                                                         CPSA apply to the standards                            Product’’
                                                 cradles. Staff initially considered
                                                                                                         promulgated under section 104 of the
                                                 inclined sleep products to fall within                                                                           An ‘‘infant inclined sleep product,’’ as
                                                                                                         CPSIA. Section 14(a)(3) of the CPSA
                                                 the scope of the bassinet/cradle                                                                               defined by ASTM F3118–17, includes
                                                                                                         requires the Commission to publish an
                                                 standard, but as work progressed on that                                                                       three key components:
                                                                                                         NOR for the accreditation of third party
                                                 standard, it became evident that one
                                                                                                         conformity assessment bodies (test                       D Age of intended product occupant:
                                                 rule could not effectively address all                                                                         the product must be intended for infants
                                                                                                         laboratories) to assess conformity with a
                                                 products. Accordingly, the Commission                                                                          up to five months old (3 months for
                                                                                                         children’s product safety rule to which
                                                 directed staff to separate inclined sleep                                                                      certain smaller products). The product
                                                                                                         a children’s product is subject. The
                                                 products into a separate rulemaking                                                                            may additionally be intended for older
                                                 effort. Thus, the inclined sleep products               proposed rule for inclined sleep
                                                                                                         products, if issued as a final rule, would             children, possibly in a different
                                                 safety standard is an outgrowth of the                                                                         configuration, provided that its
                                                 bassinet/cradle safety standard,                        be a children’s product safety rule that
                                                                                                         requires the issuance of an NOR. To                    intended use also includes children up
                                                 addressing products with an incline                                                                            to five months.
                                                                                                         meet the requirement that the
                                                 greater than 10 degrees from horizontal.                                                                         D Sleep: the product must be
                                                 ASTM simultaneously began work on                       Commission issue an NOR for the
                                                                                                                                                                primarily intended and marketed to
                                                 developing a voluntary standard for                     inclined sleep products standard, this
                                                                                                                                                                provide sleeping accommodations.
                                                                                                         NPR also proposes to amend 16 CFR
                                                 inclined sleep products. ASTM                                                                                    D Surface incline: the product must
                                                 published the resulting infant inclined                 part 1112 to include 16 CFR part 1236,
                                                                                                                                                                have at least one inclined sleep surface
                                                 sleep products standard in May 2015,                    the CFR section where the inclined
                                                                                                                                                                position that is greater than 10 degrees,
                                                 and most recently revised the standard                  sleep products standard will be
                                                                                                                                                                but less than or equal to 30 degrees.
                                                 in January of 2017.                                     codified, if the standard becomes final.                 In sum, the inclined sleep products
                                                    This proposed rule would establish a                 II. Product Description                                standard covers ‘‘a free standing product
                                                 standard for inclined sleep products as                                                                        with an inclined sleep surface primarily
                                                 a type of durable infant or toddler                     A. Infant Inclined Sleep Products,                     intended and marketed to provide
                                                 product under section 104 of the CPSIA.                 Generally                                              sleeping accommodations for an infant
                                                 Because the inclined sleep product                        There are many different styles of                   up to 5 months old or when the infant
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                                                 standard is an outgrowth of the                         infant inclined sleep products available               begins to roll over or pull up on sides,
                                                 bassinet/cradle standard, a category that               for infants and newborns. These can be                 whichever comes first.’’
                                                 the statutory definition of ‘‘durable                   categorized as:                                          The ASTM standard also covers
                                                 infant or toddler product’’ explicitly                    D Hammocks (typically constructed of                 newborn inclined sleep products,
                                                 lists, inclined sleep products could be                 fabric and suspended from one or two                   compact inclined sleep products, and
                                                 considered a type of bassinet. Section                  points, either above or on either side;                inclined sleep product accessories.
                                                 104(f). Thus, to avoid possible                         constructed of various materials;                      According to the ASTM standard, a
                                                 confusion about inclined sleep products                 generally conform to the shape of the                  newborn inclined sleep product is a


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                                                                            Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules                                           16965

                                                 ‘‘smaller product intended for newborns                 between January 1, 2005 and September                  reported to be over 8 months for 16 of
                                                 up to 3 months old or when newborn                      30, 2016. Information on 40 percent                    the injured infants, and was not
                                                 begins to wiggle out of position or turn                (261 out of 657) of the incidents was                  reported for 29 of the injured infants.
                                                 over in the product or weighs more than                 based solely on reports submitted to                      The severity of the injury types among
                                                 15 lb (6.8 kg), whichever comes first.’’                CPSC by manufacturers and retailers                    the 301 reported injuries were as
                                                 A compact inclined sleep product is ‘‘a                 through CPSC’s ‘‘Retailer Reporting                    follows:
                                                 free standing infant or newborn inclined                System.’’ Various sources, such as                        D 20 required hospital admissions (17
                                                 sleep product having a distance of 6.0                  hotlines, internet reports, newspaper                  for respiratory problems suffered due to
                                                 in. or less between the underside of the                clippings, medical examiners, and other                mold on the sleep product, 2 for
                                                 lowest point on the seat bottom and the                 state and local authorities provided the               treatment of a head injury due to a fall,
                                                 support surface (floor).’’ The ASTM                     CPSC with the remaining incident                       and 1 for observation of an infant who
                                                 standard defines ‘‘infant and newborn                   reports. Because reporting is ongoing,                 had stopped breathing for unspecified
                                                 inclined sleep product accessories’’ as                 the number of reported fatalities,                     reasons).
                                                 products ‘‘which are attached to, or                    nonfatal injuries, and non-injury                         D 27 were treated and released from
                                                 supported by, another product with the                  incidents may change in the future.                    emergency departments. These infants
                                                 same age or abilities, or both, as the free                                                                    were treated for respiratory problems,
                                                 standing products.’’ The ASTM                           A. Fatalities                                          head injuries (such as a skull fracture or
                                                 standard currently limits inclined sleep                  CPSC has reports of 14 fatalities                    a closed-head injury), contusions/
                                                 product accessories to rigidly framed                   associated with the use of an infant                   bruises, and, in one case, foreign objects
                                                 products, but the Commission proposes                   inclined sleep product, which occurred                 (namely, metal shavings from the
                                                 to modify the definition in ASTM                        between January 1, 2005 and September                  product) that entered the infant’s eye.
                                                 F3118–17 of ‘‘infant and newborn                        30, 2016.                                                 D 151 required treatment for
                                                 inclined sleep product accessories’’ to                   D Eight of the 14 deaths involved                    plagiocephaly (flat head syndrome),
                                                 remove the phrase ‘‘rigidly framed’’ so                 rocker-like inclined sleep products.                   torticollis (twisted neck syndrome), or
                                                 that the standard will include recently-                  Æ In three cases, the unstrapped                     both conditions, associated with the use
                                                 identified soft-sided products that                     decedent was found to have rolled over                 of the inclined sleep product.
                                                 attach to cribs and play yards.                         into a face-down position.                                D 90 were treated for mostly
                                                    The scope section of ASTM F3118–17                     Æ In two additional cases, the                       respiratory and some skin problems
                                                 further provides that if the inclined                   decedent reportedly rolled over into a                 associated with mold on the product.
                                                 sleep product can be converted into a                   face down position, but no information                    D Seven infants suffered minor
                                                 product for which another ASTM                          was available on the use of a restraint.               bumps/bruises/lacerations due to falls
                                                 standard consumer safety specification                    Æ For the remaining three cases, there               or near-falls.
                                                 exists, the product shall meet the                      was insufficient information about the                    D Three suffered a combination of
                                                 applicable requirements of that                         cause or manner of the deaths.                         respiratory problems along with flat
                                                 standard, in addition to those of ASTM                    D Four of the 14 deaths involved                     head syndrome or fall injuries.
                                                 F3118–17.                                               reclined infant seat-type products.                       D One eye-burn injury, one thermal
                                                    CPSC and ASTM recognize that the                       Æ In three cases, the products were                  burn due to electrical overheating, and
                                                 scope section of the standard as                        placed inside cribs and the decedents                  one abnormal back curvature condition
                                                 currently written may contain some                      (two with restraints, one without                      attributed to the use of an inclined sleep
                                                 ambiguity about the meaning of                          restraints) were found to have rolled                  product.
                                                 ‘‘intended and marketed to provide                      over the edge of the products into the                    The remaining 342 incident reports
                                                 sleeping accommodations.’’ CPSC and                     bedding in the cribs.                                  stated that no injury had occurred or
                                                 ASTM staff continue to work to reduce                     Æ In the remaining one case,                         provided no information about any
                                                 this ambiguity to provide greater clarity               restraints were not used and the                       injury. However, many of the
                                                 for inclined sleep product suppliers to                 decedent was found to have rolled over                 descriptions indicated the potential for
                                                 determine whether their products fall                   into a face-down position.                             a serious injury or even death.
                                                 within the scope of the ASTM standard.                    D Two of the 14 deaths involved
                                                                                                                                                                C. Hazard Pattern Identification
                                                 One option would be for the standard to                 infant hammocks.
                                                 clarify ‘‘intended . . . to provide                       Æ In one case, the decedent had rolled                  CPSC staff considered all 657 reported
                                                 sleeping accommodations.’’ ASTM and                     over on her stomach—restraint-use not                  incidents to identify hazard patterns
                                                 CPSC recognize that infants sleep in                    mentioned—and was found face down                      associated with inclined sleep products.
                                                 many products, some of which are                        on a foam mattress.                                    ASTM F3118–17 covers a variety of
                                                 designed specifically for sleep, while                    Æ In the one remaining case, the                     products. Some, like hammocks, are
                                                 others are designed for other purposes                  decedent was trapped in the head down                  suspended in air, while other seat-like
                                                 (i.e., infant swings). CPSC requests                    position, with face pressed against                    products are meant to be placed on a
                                                 comments on the need to define                          bedding material after product straps                  level floor (although incident reports
                                                 ‘‘intended or marketed to provide                       were not assembled correctly, allowing                 indicate they often were not). Yet others
                                                 sleeping accommodations,’’ along with                   the product to tip out of position.                    sit as attachments on larger nursery
                                                 potential definitions of that term, as                                                                         products.
                                                                                                         B. Nonfatalities                                          Because inclined sleep products
                                                 well as whether and the extent to which
                                                 clarification regarding which products                    CPSC has reports of 643 inclined                     include a variety of product types, staff
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                                                 constitute multi-use inclined sleep                     sleep product-related nonfatal incidents               identified different hazard patterns
                                                 products is needed.                                     that were reported to have occurred                    depending on which product was
                                                                                                         between January 1, 2005 and September                  involved and how it was used. CPSC
                                                 III. Incident Data                                      30, 2016. Of the 643 incidents, 301                    staff identified the following hazard
                                                    The Commission is aware of a total of                involved an injury to the infant during                patterns associated with inclined sleep
                                                 657 incidents (14 fatal and 643 nonfatal)               use of the product. The majority of the                products:
                                                 related to infant inclined sleep                        injured (256 out of 301) were between                     1. Design Problems (75%): 492
                                                 products, reported to have occurred                     1 month and 8 months of age. Age was                   incidents fell within this category. Staff


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                                                 16966                      Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules

                                                 identified two major design issues: (1)                 Most of the incidents involved                         hazards. Those recalls collectively
                                                 Infants reportedly developed respiratory                hammock-like products, which shifted                   affected 25,368 hammock units.
                                                 and/or skin ailments due to the growth                  into a non-level rest position as the
                                                                                                                                                                IV. International Standards for Inclined
                                                 of mold on the product; and (2) infants                 infant moved. Two infants ended up
                                                                                                                                                                Sleep Products
                                                 reportedly developed physical                           trapped in a corner with face in the
                                                 deformations such as plagiocephaly (flat                fabric/bedding of the product. In two                     Other standards include infant
                                                 head syndrome) and/or torticollis                       other reports, consumers complained of                 inclined sleep products within their
                                                 (twisted neck syndrome) from extended                   difficulty in preventing the infant from               scope, but these standards are intended
                                                 use of the product. Although this                       getting into a head-to-chin position.                  primarily to address hazards associated
                                                 category does not include any deaths,                      7. Miscellaneous product-related                    with products having flat sleeping
                                                 this category includes 17                               issues (1%): Nine incident reports noted               surfaces, such as bassinets and cradles.
                                                 hospitalizations and 13 emergency                       a variety of product-related issues.                   These include:
                                                 department (ED) visits, all for treating                These included: Complaints of poor                        D The Cribs, Cradles, and Bassinets
                                                 respiratory problems associated with the                finish (metal shavings, sharp edges, a                 regulation included in the Canada
                                                 use of the inclined sleep product. This                 threaded needle left in the product),                  Consumer Product Safety Act: The
                                                 category also includes an additional 244                instability (product, suspended mid-air,               Canadian regulation has similar
                                                 non-hospitalized, non-ED injuries.                      flipping over, or product, sitting on                  requirements to ASTM F3118, such as
                                                    2. Compromised Structural integrity                  floor, tipping over), incomplete                       warnings, labels, and general
                                                 (5%): 36 incident reports noted some                    packaging (missing parts and                           performance requirements (e.g. lead
                                                 level of failure of the product or its                  instructions), and noxious odor. In                    content, small parts, openings). The
                                                 components. These failures included                     addition, one incident reported both                   Canadian regulation has additional
                                                 buckles or straps breaking, pads/seats/                 restraint inadequacy and mold growth,                  requirements for slat strength, mesh
                                                 liners tearing, hardware coming loose,                  indicating a design problem. Two                       material, structural integrity, and
                                                 and metal stands/bars and other                         injuries were reported in this category,               mattress supports. Upon review, CPSC
                                                 unspecified components breaking. No                     including one treated and released from                staff determined that the Canadian
                                                 injuries or fatalities were reported in                 a hospital emergency department.                       regulation provides similar performance
                                                 this category.                                             8. Unspecified falls (1%): In nine                  requirements, but does not provide the
                                                    3. Inadequate restraints (5%): 35                    incidents, an infant fell from the                     comprehensive product assessment of
                                                 incidents reportedly occurred when the                  inclined sleep product, but very little                the specific hazards identified in CPSC
                                                 restraint failed to adequately confine the              information was available on the                       incident data that the ASTM standard
                                                 infant in position. These incidents                     circumstances surrounding the falls. All               does.
                                                 include two deaths when an infant,                      of the incidents were reported through                    D The European standard (SS–EN
                                                 although restrained, rolled over, out of                hospital emergency departments and                     1130: Furniture, Cribs, and Cradles
                                                 position, and ended up with face buried                 were reports of head injuries (skull                   Safety Requirements): EN 1130 covers
                                                 in nearby soft bedding. Three of the                    fracture or closed-head injury) or face                only inclined sleep products with a
                                                 nine injuries in this category were                     contusion. One infant was hospitalized                 body and frame. The European standard
                                                 treated in emergency departments and                    while others were treated and released.                would not include hammocks or similar
                                                 resulted from a strapped-in infant                         9. Consumer comments (4%): 23                       products that are suspended from
                                                 falling out of the product entirely.                    incidents fall in this category. The                   ceilings or other structures. EN 1130
                                                    4. Electrical issues (3%): 22 incidents              reports consisted of consumer                          includes requirements for construction
                                                 involved overheating or melting of                      comments/observations of perceived                     and materials similar to the general
                                                 components such as the vibrating unit,                  safety hazards or complaints about                     ASTM F3118 requirements. Additional
                                                 battery cover, switch, or motor. One                    unauthorized sale of infant inclined                   requirements include labeling, use
                                                 incident resulted in a thermal burn.                    sleep products. None of these reports                  instructions, packaging, and stability.
                                                    5. Non-product-related/unknown                       indicated that any incident actually                   EN 1130 is intended primarily to
                                                 issues (3%): In 18 incidents either the                 occurred.                                              address hazards associated with
                                                 manner in which the product was used                                                                           bassinets and cradles and not the
                                                 led to an incident or not enough                        D. Product Recalls                                     unique hazards associated with inclined
                                                 information was available to determine                     Compliance staff reviewed recalls of                sleep products. Based on evaluation,
                                                 how the incident occurred. This                         infant inclined sleep products from May                CPSC staff believes the ASTM standard
                                                 category includes 10 fatalities and four                10, 2000 to March 1, 2016. During that                 is more inclusive because it includes all
                                                 injuries. User error contributed to six                 time, there were nine consumer-level                   hammock styles and provides a more
                                                 asphyxiation fatalities in this category;               recalls involving infant inclined sleep                comprehensive assessment of potential
                                                 all decedents were left unstrapped and                  products. The recalls were conducted to                hazards associated with inclined sleep
                                                 later found in a prone position. Two                    resolve issues involving mold, structural              products.
                                                 additional fatalities occurred when an                  stability, entrapment, suffocation, falls,                D The Australian standard (AS/NZS
                                                 infant rolled out of position while in the              and strangulation. Three recalls                       4385 Infants’ rocking cradles—Safety
                                                 product; it was unknown if a restraint                  involved inclined sleep products and                   requirements): AS/NZS 4385 is
                                                 was used. The incident reports did not                  six recalls involved infant hammocks                   intended for rocking cradles that swing,
                                                 indicate clearly the circumstances that                 (which are within the scope of F3118–                  rock, or tilt, but specifically excludes
                                                 led to the remaining two fatalities. Of                 17).                                                   hammocks that do not have this feature.
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                                                 the four injuries, staff attributed two to                 One recall for mold affected 800,000                It is unclear if tilt means incline,
                                                 user error; staff has very little                       units of infant inclined sleep products.               thereby including in the Australian
                                                 information about the circumstances                     Two recalls for entrapment and                         standard inclined sleep products as
                                                 leading to the remaining two injury                     suffocation affected 195,000 units of                  defined in ASTM F3118. AS/NZS 4385
                                                 incidents.                                              inclined sleep products. The six                       contains requirements for construction,
                                                    6. Infant positioning during use (2%):               additional recalls were the result of                  toxicology, and flammability. There are
                                                 In 13 reported incidents the infant                     potential suffocation, strangulation,                  also other general provisions such as
                                                 moved into a compromised position.                      structural stability, entrapment, and fall             those for included toys. AS/NZS 4385


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                                                                            Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules                                            16967

                                                 has some similar performance                               Terminology. This section provides                  the inclined sleep product remains
                                                 requirements, but is not as                             definitions of terms specific to this                  cohesive after both dynamic and static
                                                 comprehensive as ASTM F3118 in                          standard.                                              load testing. It is also intended to ensure
                                                 assessing the potential hazards                            General Requirements. This section                  that the product can support the
                                                 associated with inclined sleep products.                addresses numerous hazards with                        intended user’s weight when a safety
                                                                                                         several general requirements, most of                  margin is factored in.
                                                 V. Voluntary Standard—ASTM F3118                                                                                  Marking and Labeling. This section
                                                                                                         which are also found in the other ASTM
                                                 A. History of ASTM F3118                                juvenile product standards. The general                contains various requirements relating
                                                                                                         requirements included in this section                  to warnings, labeling, and required
                                                    Section 104(b)(1)(A) of the CPSIA                    are:                                                   markings for inclined sleep products.
                                                 requires the Commission to consult                         D Lead in paint;                                    This section prescribes various
                                                 representatives of ‘‘consumer groups,                      D Sharp edges or points;                            substance, format, and prominence
                                                 juvenile product manufacturers, and                        D Small parts;                                      requirements for such information.
                                                 independent child product engineers                        D Wood parts;                                          Instructional Literature. This section
                                                 and experts’’ to ‘‘examine and assess the                  D Scissoring, shearing, and pinching;               requires that instructions be provided
                                                 effectiveness of any voluntary consumer                    D Openings;                                         with inclined sleep products and be
                                                 product safety standards for durable                       D Exposed coil springs;                             easy to read and understand.
                                                 infant or toddler products.’’ As a result                  D Protective components;                            Additionally, the section contains
                                                 of incidents arising from inclined sleep                   D Labeling; and                                     requirements relating to instructional
                                                 products, CPSC staff requested that                        D Toys.                                             literature contents and format.
                                                 ASTM develop voluntary requirements                        Performance Requirements and Test
                                                 to address the hazard patterns related to               Methods. These sections contain                        VI. Assessment of the Voluntary
                                                 the use of inclined sleep products.                     performance requirements specific to                   Standard ASTM F3118–17
                                                 ASTM first approved ASTM F3118 on                       inclined sleep products (discussed here)                  CPSC staff identified 657 incidents
                                                 April 1, 2015, and published it in May                  and the test methods that must be used                 (including 14 deaths) related to the use
                                                 2015. Through the ASTM process, CPSC                    to assess conformity with such                         of inclined sleep products. CPSC staff
                                                 staff consulted with manufacturers,                     requirements.                                          examined the incident data, identified
                                                 retailers, trade organizations,                            D Stability: This requirement is                    hazard patterns in the data, and worked
                                                 laboratories, consumer advocacy groups,                 intended to prevent inclined sleep                     with ASTM to develop the performance
                                                 consultants, and members of the public.                 products from tipping over while in use.               requirements in ASTM F3118. The
                                                 The current standard, ASTM F3118–17,                       D Unintentional folding: This                       incident data and identified hazard
                                                 was approved on January 1, 2017, and                    requirement is intended to prevent                     patterns served as the basis for the
                                                 published in March of 2017. This is the                 unintentional folding of the product                   development of ASTM F3118–15 and
                                                 third revision to the standard since it                 while it is in use, regardless of type of              F3118–17 by ASTM with CPSC staff
                                                 was first published in May 2015.                        lock/latch the product uses (if any).                  support throughout the process.
                                                                                                            D Restraint systems: This requirement                  CPSC believes that the current
                                                 B. Description of the Current Voluntary                 is intended to ensure the integrity and                voluntary standard, ASTM F3118–17,
                                                 Standard—ASTM F3118–17                                  effectiveness of restraint systems, which              addresses the primary hazard patterns
                                                                                                         (when present) must include both a                     identified in the incident data, with one
                                                   ASTM F3118–17 includes the
                                                                                                         waist and crotch restraint, but not                    modification to the standard’s definition
                                                 following key provisions: Scope,
                                                                                                         shoulder straps. Additionally, the                     of ‘‘accessory.’’ CPSC concludes that
                                                 terminology, general requirements,
                                                                                                         inclined sleep product’s restraint system              more stringent requirements relating to
                                                 performance requirements, test
                                                                                                         must be designed so that the crotch                    the standard’s definition of ‘‘accessory’’
                                                 methods, marking and labeling, and
                                                                                                         restraint has to be used whenever the                  would further reduce the risk of injury
                                                 instructional literature.
                                                                                                         restraint system is used. The restraint                associated with inclined sleep products.
                                                   Scope. This section states the scope of               system must be attached to the product                    The following section discusses how
                                                 the standard, detailing what constitutes                in one of the manufacturer’s                           each of the identified product-related
                                                 an infant inclined sleep product. As                    recommended use positions at the time                  issues or hazard patterns listed in
                                                 stated in section II.A. of this preamble,               of shipment.                                           section III.C. of this preamble is
                                                 the Scope section describes an inclined                    D Side height: This requirement is                  addressed by the current voluntary
                                                 sleep product as ‘‘a free standing                      intended to prevent falls, in conjunction              standard, ASTM F3118–17, and
                                                 product with an inclined sleep surface                  with head, foot, and side containment                  discusses the proposed more stringent
                                                 primarily intended and marketed to                      requirements.                                          requirement where appropriate:
                                                 provide sleeping accommodations for an                     D Head, foot, and side containment:
                                                 infant up to 5 months old or when the                   This requirement is intended to prevent                A. Design Problems
                                                 infant begins to roll over or pull up on                falls, in conjunction with side height                   Incident reports indicate that 75
                                                 sides, whichever comes first.’’ This                    requirements.                                          percent of reported incidents were
                                                 section also states that the standard                      D Side to side surface containment:                 associated with the design of the
                                                 covers newborn inclined sleep products,                 This requirement is intended to ensure                 inclined sleep product. Staff identified
                                                 compact inclined sleep products, and                    a seat back shape that prevents children               two major design issues: Infant
                                                 inclined sleep products accessories.                    from rotating into a sideways position.                respiratory and/or skin ailments due to
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                                                 This section further explains that if the                  D Seat back length: This requirement                mold growth on the product, and (2)
                                                 inclined sleep product can be converted                 is intended to prevent older children                  Infant physical deformations such as
                                                 into a product for which another ASTM                   from being placed in inclined sleep                    plagiocephaly (flat head syndrome) and/
                                                 standard consumer safety specification                  products intended for younger users by                 or torticollis (twisted neck syndrome)
                                                 exists, the product shall meet the                      restricting the head containment area                  from extended product use.
                                                 applicable requirements of that                         available on the seat back.                               In the reported cases of mold that
                                                 standard, in addition to those of ASTM                     D Structural integrity: This                        resulted in respiratory problems for
                                                 F3118–17.                                               requirement is intended to ensure that                 infants using the product, all cases were


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                                                 16968                      Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules

                                                 related to one particular manufacturer’s                C. Compromised Structural Integrity                    addressable by this standard.
                                                 inclined sleep product. CPSC conducted                     The incidents included in this                      Requirements relating to other
                                                 a recall of that product in 2013. Infants               category consisted of complaints related               miscellaneous product-related issues,
                                                 who use an inclined sleep product that                  to buckles/straps breaking, pads/seats/                such as prevention of rough finishes,
                                                 is known to develop visible mold can be                 liners tearing, hardware coming loose,                 sharp edges, and points are included in
                                                 at risk of developing health effects such               and metal stands/bars and other                        the general requirements of ASTM
                                                 as allergies, asthma, mycosis, and effects              unspecified components breaking. The                   F3118–17. The voluntary standard also
                                                 of mycotoxins. However, because the                     static and dynamic load tests included                 includes performance requirements for
                                                 mold growth was restricted to one                       in F3118–17 address structural integrity               the stability of infant, newborn, and
                                                 manufacturer’s product and that                         in a similar manner to other ASTM                      compact inclined sleep products. CPSC
                                                 product was recalled, the Commission is                 juvenile product standards. Following                  evaluated these requirements and
                                                 not proposing any modifications to                      evaluation of these tests, the                         concludes that they are adequate to
                                                 address potential hazards associated                    Commission believes that these                         address this hazard pattern.
                                                 with mold.                                              requirements adequately address this
                                                    Plagiocephaly, cranial deformity or                                                                         G. Electrical Issues
                                                                                                         hazard pattern.
                                                 asymmetry (commonly known as flat                                                                                 Since CPSC staff began monitoring the
                                                 head) is a condition that may exist at                  D. Infant Positioning During Use                       incident reports for inclined sleep
                                                 birth due to mechanical constraint of                     Most infant position incidents                       products, incidents involving electrical
                                                 fetal head movement in the womb,                        involved hammock-like products, which                  issues have risen from 1 percent to 3
                                                 birth-related injuries during assisted                  shifted into a non-level rest position as              percent of the total reported incidents.
                                                 delivery, or as a result of increased                   the infants moved, resulting in the                    One thermal burn injury was reported in
                                                 likelihood of skull deformity as a                      infants becoming trapped in a corner                   this category. CPSC staff recently shared
                                                 consequence of premature birth.                         with their face in the fabric/bedding of               this new data with the ASTM
                                                 Muscular torticollis (twisted neck) is a                the product. Two fatalities occurred in                subcommittee and suggested that
                                                 known risk factor associated with                       this manner. Hazardous positioning                     electrical requirements similar to those
                                                 plagiocephaly caused by constraint of                   involves multiple factors, such as the                 in other juvenile products be added to
                                                 head and neck movement. Although                        fabric or material used on the product’s               F3118. The Commission requests
                                                 incident data indicate that consumers                   side, inclusion of a mat or mattress, and              comments regarding inclusion of
                                                 believe use of an inclined sleep product                the infant’s ability to reposition in the              electrical requirements to prevent
                                                 is the cause for their child’s                          product. As the factors involved in these              further additional incidents, such as
                                                 plagiocephaly/torticollis, there is no                  incidents are complex and not easily                   overheating, melting battery
                                                 evidence to support this belief. The                    addressable, ASTM F3118–17 does not                    compartments, and thermal burns.
                                                 increase in the number of children with                 include specific performance
                                                 plagiocephaly may actually be                                                                                  H. Unspecified Falls
                                                                                                         requirements to directly address this
                                                 attributed to the American Academy of                   scenario at this time. The voluntary                     There were eight reports of falls from
                                                 Pediatrics’ (AAP) recommendation to                     standard addresses instability with a                  the product with little detail on the
                                                 place infants to sleep on their backs to                performance test; however, the intent of               incidents that led to the injury. Without
                                                 decrease the risk of sudden infant death                that test is to address incidents such as              details, it is unclear how the incident
                                                 syndrome (SIDS). Because the                            siblings pulling on the side and tipping               occurred or if it would be addressed by
                                                 development of plagiocephaly and                        the inclined sleep product. CPSC will                  any performance standard. However,
                                                 torticollis is not exclusively attributable             continue to monitor incident data and                  ASTM F3118–17 includes stability and
                                                 to the use of infant inclined sleep                     could consider changes to the standard                 containment requirements, as described
                                                 products, the conditions are not                        in the future if needed.                               in earlier sections, which address
                                                 addressable with performance                                                                                   known hazard patterns that could result
                                                 standards. The Commission is not                        E. Non-Product-Related/Unknown                         in falls.
                                                 proposing any modifications to the                         There were ten fatalities and four
                                                 voluntary standard to address these                                                                            I. Consumer Comments
                                                                                                         injuries in this category. User error
                                                 issues.                                                 contributed to six of the asphyxiation                    This category contained 23 reports
                                                                                                         fatalities. All decedents were left                    from consumers about perceived
                                                 B. Inadequate Restraints
                                                                                                         unstrapped and later found in a prone                  product hazards that did not result in
                                                   ASTM F3118–17 does not require the                    position. ASTM F3118–17 has                            incidents. CPSC staff reviewed the
                                                 inclusion of any type of restraint                      requirements for restraints (where the                 reports and determined that the
                                                 system. However, for products that do                   product includes restraints) and side                  information did not describe a
                                                 include restraints, the ASTM standard                   containment to prevent infants from                    hazardous situation or a situation not
                                                 includes performance requirements to                    moving out of position. In addition,                   already addressed in the ASTM
                                                 address restraint operation and                         CPSC staff has worked with the ASTM                    standard.
                                                 function. Two deaths occurred in an                     subcommittee on the warnings and
                                                 inclined sleep product that was recalled                                                                       VII. Proposed Standard for Infant
                                                                                                         instructions to provide consumers with
                                                 during the development of the ASTM                                                                             Inclined Sleep Products
                                                                                                         adequate information to use the product
                                                 voluntary standard. The ASTM                            correctly.                                                As discussed in the previous section,
                                                 standards subcommittee developed the                                                                           most of the requirements of ASTM
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                                                 restraint requirements and containment                  F. Miscellaneous Product-Related Issues                F3118–17 are sufficient to reduce the
                                                 requirements to address these deaths                       CPSC considers incidents in this                    risk of injury posed by inclined sleep
                                                 and injuries. The Commission believes                   category (involving such hazards as                    products. However, CPSC concludes
                                                 that these restraint performance                        stray objects, incomplete packaging,                   that the accessory definition should be
                                                 requirements adequately address this                    missing parts, and noxious odors) to                   modified by removing ‘‘rigid frame’’
                                                 hazard pattern, and notes that these are                present manufacturing quality control                  from the definition to further reduce the
                                                 similar requirements used in other                      issues, not safety-related issues.                     risk of injury associated with product
                                                 juvenile product safety standards.                      Therefore, these incidents are not                     use. ASTM F3118–17 defines


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                                                                            Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules                                           16969

                                                 ‘‘accessory inclined sleep product’’ as                 inclined sleep products standard,                         (H) infant carriers;
                                                 ‘‘a rigid framed inclined sleep product                 require an amendment to part 1112. To                     (I) strollers;
                                                 that is intended to provide sleeping                    meet the requirement that the                             (J) walkers;
                                                 accommodations for infants or                           Commission issue an NOR for the                           (K) swings; and
                                                 newborns and attaches to or is                          inclined sleep products standard, as                      (L) bassinets and cradles.
                                                 supported by another product.’’ During                  part of this NPR, the Commission                       Public Law 110–314, section 104(f).
                                                 2016 ASTM subcommittee meetings,                        proposes to amend the existing rule that                  The infant inclined sleep products
                                                 CPSC staff became aware of a new                        codifies the list of all NORs issued by                safety standard is an outgrowth of the
                                                 product that ASTM subcommittee                          the Commission to add inclined sleep                   bassinet safety standard. When
                                                 members agreed should be classified as                  products to the list of children’s product             considering the bassinet standard, the
                                                 an accessory inclined sleep product,                    safety rules for which the CPSC has                    Commission stated that a separate
                                                 except for the fact that the product did                issued an NOR.                                         standard targeted specifically to
                                                 not have a ‘‘rigid frame.’’ The                            Test laboratories applying for                      inclined sleep products would more
                                                 subcommittee members agreed that                        acceptance as a CPSC-accepted third                    effectively address the hazards
                                                 ‘‘rigid frame’’ should be removed from                  party conformity assessment body to                    associated with those products. 77 FR
                                                 the accessory definition. CPSC agrees                   test to the new standard for inclined                  64055, 64059 (Oct. 18, 2012). Therefore,
                                                 with this approach and therefore                        sleep products would be required to                    CPSC staff began working with ASTM to
                                                 proposes to incorporate by reference                    meet the third party conformity                        develop a voluntary standard that
                                                 ASTM F3118–17 with a modification                       assessment body accreditation                          would cover the wide array of products
                                                 that would remove the phrase ‘‘rigid                    requirements in part 1112. When a                      on the market that provide infants and
                                                 frame’’ from the definition of ‘‘accessory              laboratory meets the requirements as a                 toddlers with inclined sleeping
                                                 inclined sleep product.’’                               CPSC-accepted third party conformity                   environments. Inclined sleep products,
                                                 VIII. Proposed Amendment to 16 CFR                      assessment body, the laboratory can                    like bassinets, are thus durable products
                                                 Part 1112 To Include NOR for Infant                     apply to the CPSC to have 16 CFR part                  within the meaning of section 104 of the
                                                 Inclined Sleep Products                                 1236, Standard Consumer Safety                         CPSIA.
                                                                                                         Specification for Infant Inclined Sleep                   Because the inclined sleep product
                                                    The CPSA establishes certain                         Products, included in the laboratory’s                 standard is an outgrowth of the bassinet
                                                 requirements for product certification                  scope of accreditation of CPSC safety                  standard, inclined sleep products may
                                                 and testing. Products subject to a                      rules listed for the laboratory on the                 be considered a sub-category of
                                                 consumer product safety rule under the                  CPSC Web site at: www.cpsc.gov/                        bassinets. To provide greater clarity that
                                                 CPSA, or to a similar rule, ban, standard               labsearch.
                                                 or regulation under any other act                                                                              inclined sleep products are durable
                                                 enforced by the Commission, must be                     IX. Proposed Amendment to Definitions                  infant or toddler products, the
                                                 certified as complying with all                         in Consumer Registration Rule                          Commission proposes to amend the
                                                 applicable CPSC-enforced requirements.                                                                         Commission’s consumer registration
                                                                                                           The statutory definition of ‘‘durable                rule to explicitly include inclined sleep
                                                 15 U.S.C. 2063(a). Certification of                     infant or toddler product’’ in section
                                                 children’s products subject to a                                                                               products.
                                                                                                         104(f) applies to all of section 104 of the               In 2009, the Commission issued a rule
                                                 children’s product safety rule must be                  CPSIA. In addition to requiring the
                                                 based on testing conducted by a CPSC-                                                                          implementing the consumer registration
                                                                                                         Commission to issue safety standards                   requirement. 16 CFR part 1130. As the
                                                 accepted third party conformity                         for durable infant or toddler products,
                                                 assessment body. Id. 2063(a)(2). The                                                                           CPSIA directs, the consumer registration
                                                                                                         section 104 of the CPSIA also directed                 rule requires each manufacturer of a
                                                 Commission must publish an NOR for                      the Commission to issue a rule requiring
                                                 the accreditation of third party                                                                               durable infant or toddler product to:
                                                                                                         that manufacturers of durable infant or                provide a postage-paid consumer
                                                 conformity assessment bodies to assess                  toddler products establish a program for
                                                 conformity with a children’s product                                                                           registration form with each product;
                                                                                                         consumer registration of those products.               keep records of consumers who register
                                                 safety rule to which a children’s product               Public Law 110–314, section 104(d).
                                                 is subject. Id. 2063(a)(3). Thus, the                                                                          their products with the manufacturer;
                                                                                                           Section 104(f) of the CPSIA defines                  and permanently place the
                                                 proposed rule for 16 CFR part 1236,                     the term ‘‘durable infant or toddler
                                                 Standard Consumer Safety                                                                                       manufacturer’s name and certain other
                                                                                                         product’’ and lists examples of such                   identifying information on the product.
                                                 Specification for Infant Inclined Sleep                 products:
                                                 Products, if issued as a final rule, would                                                                     When the Commission issued the
                                                                                                           (f) Definition Of Durable Infant or                  consumer registration rule, the
                                                 be a children’s product safety rule that                Toddler Product. As used in this
                                                 requires the issuance of an NOR.                                                                               Commission identified six additional
                                                                                                         section, the term ‘‘durable infant or                  products as ‘‘durable infant or toddler
                                                    The Commission published a final                     toddler product’’—
                                                 rule, Requirements Pertaining to Third                                                                         products’’:
                                                                                                           (1) means a durable product intended
                                                 Party Conformity Assessment Bodies, 78                                                                            D Children’s folding chairs;
                                                                                                         for use, or that may be reasonably                        D changing tables;
                                                 FR 15836 (March 12, 2013), codified at                  expected to be used, by children under
                                                 16 CFR part 1112 (‘‘part 1112’’) and                                                                              D infant bouncers;
                                                                                                         the age of 5 years; and                                   D infant bathtubs;
                                                 effective on June 10, 2013, which                         (2) includes—
                                                 establishes requirements for                                                                                      D bed rails; and
                                                                                                           (A) full-size cribs and nonfull-size
                                                 accreditation of third party conformity                                                                           D infant slings.
                                                                                                         cribs;
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                                                 assessment bodies to test for conformity                  (B) toddler beds;                                    16 CFR 1130.2. The Commission stated
                                                 with a children’s product safety rule in                  (C) high chairs; booster chairs, and                 that the specified statutory categories
                                                 accordance with section 14(a)(2) of the                 hook-on-chairs;                                        were not exclusive, but that the
                                                 CPSA. Part 1112 also codifies all of the                  (D) bath seats;                                      Commission should explicitly identify
                                                 NORs issued previously by the                             (E) gates and other enclosures for                   the product categories that are covered.
                                                 Commission.                                             confining a child;                                     The preamble to the 2009 final
                                                    All new NORs for new children’s                        (F) play yards;                                      consumer registration rule states:
                                                 product safety rules, such as the                         (G) stationary activity centers;                     ‘‘Because the statute has a broad


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                                                 16970                      Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules

                                                 definition of a durable infant or toddler               inclined sleep product manufacturers to                  D identification, to the extent
                                                 product but also includes 12 specific                   bring their products into compliance                   possible, of all relevant federal rules
                                                 product categories, additional items can                after a final rule is issued, the                      that may duplicate, overlap, or conflict
                                                 and should be included in the                           Commission is proposing an effective                   with the proposed rule; and
                                                 definition, but should also be                          date of 12 months after publication of                   In addition, the IRFA must describe
                                                 specifically listed in the rule.’’ 74 FR                the final rule in the Federal Register for             any significant alternatives to the
                                                 68668, 68669 (Dec. 29, 2009).                           products manufactured or imported on                   proposed rule that accomplish the
                                                    In this document, the Commission                     or after that date. The Commission                     stated objectives of applicable statutes
                                                 proposes to amend the definition of                     believes that most firms should be able                and minimize any significant economic
                                                 ‘‘durable infant or toddler product’’ in                to comply with the 12-month timeframe,                 impact of the proposed rule on small
                                                 the consumer registration rule to clarify               but asks for comments on the proposed                  entities.
                                                 that inclined sleep products fall within                12-month effective date. We also                       B. Market Description
                                                 the term ‘‘durable infant or toddler                    propose a 12-month effective date for
                                                 product’’ as used in the product                        the amendments to parts 1112 and 1130.                    The Commission has identified 25
                                                 registration card rule and section 104 of                                                                      firms supplying inclined sleep products
                                                 the CPSIA.                                              XII. Regulatory Flexibility Act                        to the U.S. market. Sixteen of these
                                                                                                         A. Introduction                                        firms produce infant hammocks. The
                                                 X. Incorporation by Reference                                                                                  majority of the 25 known firms
                                                    The Commission proposes to                             The Regulatory Flexibility Act (RFA)                 (including 12 manufacturers and five
                                                 incorporate by reference ASTM F3118–                    requires that agencies review a proposed               importers) are domestic. The remaining
                                                 17, with one modification to the                        rule for the rule’s potential economic                 eight firms (seven manufacturers and
                                                 standard, discussed above. The Office of                impact on small entities, including                    one retailer) are foreign.
                                                 the Federal Register (OFR) has                          small businesses. Section 603 of the
                                                                                                                                                                C. Reason for Agency Action and Legal
                                                 regulations concerning incorporation by                 RFA generally requires that agencies
                                                                                                                                                                Basis for Proposed Rule
                                                 reference. 1 CFR part 51. For a proposed                prepare an initial regulatory flexibility
                                                 rule, agencies must discuss in the                      analysis (IRFA) and make the analysis                     As discussed in section I. of this
                                                 preamble of the NPR ways that the                       available to the public for comment                    preamble, section 104 of the CPSIA
                                                 materials the agency proposes to                        when the agency publishes an NPR. 5                    requires the CPSC to promulgate
                                                 incorporate by reference are reasonably                 U.S.C. 603. Section 605 of the RFA                     consumer product safety standards for
                                                 available to interested persons or how                  provides that an IRFA is not required if               durable infant or toddler products that
                                                 the agency worked to make the                           the agency certifies that the rule will                are substantially the same as, or more
                                                 materials reasonably available. In                      not, if promulgated, have a significant                stringent than, the relevant voluntary
                                                 addition, the preamble of the proposed                  economic impact on a substantial                       standard. As explained in section IX of
                                                 rule must summarize the material. 1                     number of small entities. Staff could not              this preamble, ASTM’s standard for
                                                 CFR 51.5(a).                                            rule out a significant economic impact                 infant inclined sleep products
                                                    In accordance with the OFR’s                         for six of the 10 known small suppliers                developed out of CPSC’s efforts on
                                                 requirements, section V.B. of this                      of inclined sleep products to the U.S.                 bassinets. CPSC and ASTM determined
                                                 preamble summarizes the provisions of                   market. Accordingly, staff prepared an                 that a separate standard was necessary
                                                 ASTM F3118–17 that the Commission                       IRFA and poses several questions for                   for these products.
                                                 proposes to incorporate by reference.                   public comment to help staff assess the                D. Impact of Proposed 16 CFR Part 1236
                                                 ASTM F3118–17 is copyrighted. By                        rule’s potential impact on small                       on Small Businesses
                                                 permission of ASTM, the standard can                    businesses.
                                                 be viewed as a read-only document                                                                                CPSC staff is aware of approximately
                                                                                                           The IRFA must describe the impact of                 25 firms currently marketing inclined
                                                 during the comment period on this NPR,                  the proposed rule on small entities and
                                                 at: http://www.astm.org/cpsc.htm.                                                                              sleep products in the United States, 17
                                                                                                         identify significant alternatives that                 of which are domestic. Under U.S.
                                                 Interested persons may also purchase a                  accomplish the statutory objectives and
                                                 copy of ASTM F3118–17 from ASTM                                                                                Small Business Administration (SBA)
                                                                                                         minimize any significant economic                      guidelines, a manufacturer of inclined
                                                 International, 100 Bar Harbor Drive,                    impact of the proposed rule on small
                                                 P.O. Box 0700, West Conshohocken, PA                                                                           sleep products is considered small if it
                                                                                                         entities. Specifically, the IRFA must                  has 500 or fewer employees; and
                                                 19428; http://www.astm.org/cpsc.htm.                    contain:
                                                 One may also inspect a copy at CPSC’s                                                                          importers and wholesalers are
                                                                                                           D A description of the reasons why                   considered small if they have 100 or
                                                 Office of the Secretary, U.S. Consumer                  action by the agency is being
                                                 Product Safety Commission, Room 820,                                                                           fewer employees. Staff limited its
                                                                                                         considered;                                            analysis to domestic firms because SBA
                                                 4330 East West Highway, Bethesda, MD
                                                                                                           D a succinct statement of the                        guidelines and definitions pertain to
                                                 20814, telephone 301–504–7923.
                                                                                                         objectives of, and legal basis for, the                U.S.-based entities. Based on these
                                                 XI. Effective Date                                      proposed rule;                                         guidelines, 14 of the 17 domestic firms
                                                    The Administrative Procedure Act                       D a description of, and where feasible,              are small—10 manufacturers and four
                                                 (APA) generally requires that the                       an estimate of the number of small                     importers. Additional unknown small
                                                 effective date of a rule be at least 30                 entities to which the proposed rule will               domestic inclined product suppliers
                                                 days after publication of the final rule.               apply;                                                 may be operating in the U.S. market.
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                                                 5 U.S.C. 553(d). ASTM F3118–17 is a                       D a description of the projected                     1. Small Manufacturers
                                                 new voluntary standard that covers a                    reporting, recordkeeping, and other
                                                 variety of products whose                               compliance requirements of the                         i. Small Manufacturers With Compliant
                                                 manufacturers may not be aware that                     proposed rule, including an estimate of                Inclined Sleep Products
                                                 their product must comply. The                          the classes of small entities subject to                  Of the ten small manufacturers, three
                                                 Commission is proposing to incorporate                  the requirements and the type of                       produce inclined sleep products that are
                                                 by reference ASTM F3118–17, with one                    professional skills necessary for the                  likely to comply with ASTM F3118–17
                                                 modification. To allow time for infant                  preparation of reports or records; and                 which is in effect for testing purposes


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                                                                            Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules                                           16971

                                                 under the Juvenile Product                                 The extent and cost of the changes                  small manufacturers that are already
                                                 Manufactures Association (JPMA)                         that these firms would be required to                  testing, the incremental costs are
                                                 certification program. Although only                    make to comply with the standard                       unlikely to be economically significant,
                                                 one large firm is currently listed on the               cannot be determined and, therefore,                   and informal discussions with several
                                                 JPMA Web site as having certified                       staff cannot rule out a significant                    firms actively participating in the ASTM
                                                 inclined sleep products, we expect the                  economic impact. Additionally, the four                voluntary standard development
                                                 products of these three small                           firms that do not currently have warning               process suggest such.
                                                 manufacturers to comply because the                     labels or instruction manuals for their                   For the seven small manufacturers
                                                 firms were involved in the standard’s                   products appear to very small,                         that are not currently testing their
                                                 development. In general, staff expects                  supplying very few products in very low                products to verify compliance with the
                                                 that small manufacturers whose                          quantities. The cost of developing                     ASTM standard, the impact of third
                                                 inclined sleep products comply with the                 warning labels and instruction manuals                 party testing, by itself, could result in
                                                 current voluntary standard will remain                  is, therefore, more likely to have a                   significant costs for one firm. Staff made
                                                 compliant with the voluntary standard                   significant economic impact on these                   this determination based on an
                                                 as it evolves, because they follow and,                 firms, as their resources may be more                  examination of firm revenues from
                                                 in this case, actively participate in the               limited.                                               recent Dun & Bradstreet or
                                                 standard development process.                              Additionally, staff believes that as                ReferenceUSAGov reports. Although
                                                 Therefore, compliance with the                          many as five of the seven firms with                   staff does not know how many samples
                                                 voluntary standard is part of an                        noncompliant inclined sleep products                   will be needed to meet the ‘‘high degree
                                                 established business practice. ASTM                     may not be aware of the inclined sleep                 of assurance’’ criterion required in the
                                                 F3118–17 is the version of the voluntary                products voluntary standard, which                     1107 rule, testing costs could exceed
                                                 standard upon which the staff-                          could increase the time period required                one percent of gross revenue with as few
                                                 recommended mandatory standard is                       for firms to come into compliance. The                 as four samples tested for this firm
                                                 based; therefore, we expect these firms                 Commission proposes a longer than                      (assuming high-end testing costs of
                                                 are already in compliance.                              usual effective date of 12 months to give              $1,000 per model sample). Revenue
                                                                                                         firms time to familiarize themselves                   information was not available for the
                                                    In light of the expectation that these
                                                                                                         with the scope of the new standard and                 four small manufacturers and, therefore,
                                                 firms will already be complying with
                                                                                                         develop new/modified products if                       no impact evaluation could be made.
                                                 ASTM F3118–17 by the time it becomes
                                                                                                         needed.                                                All four firms are very small, however,
                                                 effective, and that none would be                          The Commission requests information                 so staff cannot rule out a significant
                                                 impacted by the proposed change to the                  on the changes that may be required to                 impact.
                                                 definition of an ‘‘accessory inclined                   meet the voluntary standard ASTM                          The Commission welcomes comments
                                                 sleep product,’’ the economic impact of                 F3118–17, in particular whether                        regarding overall testing costs and
                                                 the proposed rule should be small for                   redesign or retrofitting would be                      incremental costs due to third party
                                                 the three small domestic manufacturers                  necessary, as well as the associated                   testing (i.e., how much does moving
                                                 supplying compliant inclined sleep                      costs and time frame for the changes.                  from a voluntary to a mandatory third
                                                 products to the U.S. market.                                                                                   party testing regime add to testing costs,
                                                                                                         Third Party Testing Costs for Small
                                                 ii. Small Manufacturers With                                                                                   in total and on a per test basis). In
                                                                                                         Manufacturers
                                                 Noncompliant Inclined Sleep Products                                                                           addition, the Commission welcomes
                                                                                                           Under section 14 of the CPSA, when                   comments regarding the number of
                                                    Seven small manufacturers (two of                    new inclined sleep product                             inclined sleep product units that
                                                 which would only be included due to                     requirements become effective, all                     typically need to be tested to provide a
                                                 the proposed change to the definition of                manufacturers will be subject to the                   ‘‘high degree of assurance.’’
                                                 an ‘‘accessory inclined sleep product’’)                third party testing and certification
                                                 produce inclined sleep products that do                 requirements under the 1107 rule. Third                2. Small Importers
                                                 not comply with the voluntary standard.                 party testing will include any physical                   Four small importers supply inclined
                                                 CPSC cannot rule out a significant                      and mechanical test requirements                       sleep products to the U.S. market (two
                                                 economic impact for six small                           specified in the final inclined sleep                  of which are multi-use products that the
                                                 manufacturers, but was able to rule out                 products rule. Manufacturers and                       clarified scope is meant to address);
                                                 a significant impact for one small                      importers should already be conducting                 none of their products comply with the
                                                 manufacturer (one of the manufacturers                  required lead testing for inclined sleep               ASTM voluntary standard. Staff has
                                                 that the standard covers only as a result               products. Third party testing costs are in             insufficient information to rule out a
                                                 of CPSC’s proposed modification).                       addition to the direct costs of meeting                significant impact for these firms,
                                                 These firms may not be aware of the                     the inclined sleep product standard.                   particularly given the lack of sales
                                                 ASTM voluntary standard or may                            Three of the small inclined sleep                    revenue data. Whether there is a
                                                 believe that their product falls outside                product manufacturers are already                      significant economic impact will
                                                 the scope of the standard. All six firms                testing their products to verify                       depend upon the extent of the changes
                                                 are likely to require modifications, some               compliance with the ASTM standard,                     required to come into compliance and
                                                 of which may be significant, to meet the                though not necessarily by a third party.               the response of their supplying firms.
                                                 base requirements of the voluntary                      For these manufacturers, the impact to                 Manufacturers may pass onto importers
                                                 standard. Four of these firms (two of                   testing costs would be limited to the                  any increase in production costs that
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                                                 which would be covered by the                           difference between the cost of third                   manufacturers incur as a result of
                                                 standard as a result of the proposed                    party tests and the cost of current testing            changes made to meet the mandatory
                                                 modification to the standard) may not                   regimes. Staff contacted manufacturers                 standard. These costs would include
                                                 currently have warning labels or                        of inclined sleep products. They                       those associated with coming into
                                                 instruction manuals for their products,                 estimate that third party testing inclined             compliance with the voluntary
                                                 and therefore may be required to make                   sleep products to the ASTM voluntary                   standard, as well as those associated
                                                 modifications to comply with the ASTM                   standard would cost about $300 to                      with the proposed modification to the
                                                 standard.                                               $1,000 per model sample. For the three                 voluntary standard.


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                                                 16972                      Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules

                                                    Two of the four known importers are                  if the Commission determines that more                 inventory issues that may result from
                                                 tied directly to their foreign suppliers.               stringent standards would further                      changes that companies may need to
                                                 Therefore, finding an alternative supply                reduce the risk of injury. Therefore,                  make to warning labels and instruction
                                                 source would not be a viable alternative.               adopting ASTM F3118–17 with no                         manuals that are keyed to model and
                                                 However, the foreign suppliers to these                 modifications is the least stringent rule              SKU numbers. The Commission
                                                 firms may have an incentive to work                     that could be promulgated for inclined                 requests comments on the extent of cost
                                                 with their U.S. distributors to maintain                sleep products. Although it would not                  savings that may result from timing the
                                                 an American market presence.                            reduce the testing costs triggered by the              effective date of the rule to coincide
                                                 Discontinuing the sale of inclined sleep                rule, this alternative would eliminate                 with the timing of model changes
                                                 products would likely have a significant                any economic impact on the two firms                   within the industry.
                                                 impact on one of these firms because                    that would be subject to the rule as a
                                                                                                                                                                E. Impact of Proposed 16 CFR Part 1112
                                                 their entire product line consists of                   result of the proposed modification to
                                                                                                                                                                Amendment on Small Businesses
                                                 inclined sleep products and accessory                   the definition of ‘‘accessory inclined
                                                 products. The remaining two small                       sleep product.’’ However, adopting                        This proposed rule would also amend
                                                 importers do not supply many other                      ASTM F3118–17 with no modifications                    part 1112 to add inclined sleep products
                                                 products, and as a result, discontinuing                would not address the risk of injuries                 to the list of children’s products for
                                                 the sale of inclined sleep products could               and death in what are clearly inclined                 which the Commission has issued an
                                                 have a significant impact on those firms                sleep product accessories except that                  NOR. As required by the RFA, staff
                                                 as well.                                                they do not have rigid frames.                         conducted a Final Regulatory Flexibility
                                                    As with manufacturers, importers will                Additionally, the impact on one of these               Analysis (FRFA) when the Commission
                                                 be subject to third party testing and                   firms would be limited to warning label                issued the part 1112 rule (78 FR 15836,
                                                 certification requirements, and                         and instructional literature changes.                  15855–58). The FRFA concluded that
                                                 consequently, will be subject to costs                                                                         the accreditation requirements would
                                                                                                         ii. Allow a Later Effective Date                       not have a significant adverse impact on
                                                 similar to those for manufacturers if
                                                 their supplying foreign firm(s) does not                   The Commission could reduce the                     a substantial number of small testing
                                                 perform third party testing. The four                   proposed rule’s impact on small                        laboratories because no requirements
                                                 known small importers do not currently                  businesses by setting a later effective                were imposed on test laboratories that
                                                 test their products to verify compliance                date. A later effective date would reduce              did not intend to provide third party
                                                 with the ASTM standard. Therefore, the                  the economic impact on firms in two                    testing services. The only test
                                                 full extent of third party testing costs                ways. Firms would be less likely to                    laboratories that were expected to
                                                 would be due to these small importers                   experience a lapse in production/                      provide such services were those that
                                                 having to comply with a mandatory                       importation, which could result if they                anticipated receiving sufficient revenue
                                                 standard (and not related to CPSC’s                     are unable to bring their products into                from the mandated testing to justify
                                                 proposed modification to the standard).                 compliance and certify compliance                      accepting the requirements as a business
                                                 Based on the revenue data available, it                 based on third party tests within the                  decision.
                                                 does not appear that third party testing                required timeframe. Also, firms could                     Based on similar reasoning, amending
                                                 will have a significant impact on one of                spread the costs of developing                         16 CFR part 1112 to include the NOR for
                                                 the four small importers. However, there                compliant products over a longer time                  the infant inclined sleep product
                                                 was no revenue data available for the                   period, thereby reducing their annual                  standard will not have a significant
                                                 remaining three small importers of                      costs, as well as the present value of                 adverse impact on small test
                                                 inclined sleep products not believed to                 their total costs (i.e., they could time               laboratories. Moreover, based upon the
                                                 comply with the voluntary ASTM                          their spending to better accommodate                   number of test laboratories in the United
                                                 standard. Therefore, we had no basis for                their individual circumstances). The                   States that have applied for CPSC
                                                 evaluating the size of the impact on that               Commission believes that the proposed                  acceptance of accreditation to test for
                                                 firm.                                                   12-month effective date would allow                    conformance to other mandatory
                                                                                                         firms that may not be aware of the                     juvenile product standards, we expect
                                                 3. Summary                                              ASTM voluntary standard or may                         that only a few test laboratories will
                                                    In summary, based upon current                       believe that their product falls outside               seek CPSC acceptance of their
                                                 information, we cannot rule out a                       the scope of the standard time to make                 accreditation to test for conformance
                                                 significant economic impact for six of                  this determination and bring their                     with the infant inclined sleep product
                                                 the ten firms operating in the U.S.                     products into compliance. However, an                  standard. Most of these test laboratories
                                                 market for inclined sleep products. The                 even later effective date would further                will have already been accredited to test
                                                 12-month proposed effective date would                  reduce these costs.                                    for conformance to other mandatory
                                                 help to spread costs over a longer time-                                                                       juvenile product standards, and the only
                                                                                                         iii. Time the Effective Date for Warning
                                                 frame.                                                                                                         costs to them would be the cost of
                                                                                                         Labels and Instruction Manuals To
                                                                                                                                                                adding the infant inclined sleep product
                                                 4. Alternatives                                         Coincide With the Timing of Model
                                                                                                                                                                standard to their scope of accreditation.
                                                                                                         Changes in the Durable Nursery Product
                                                    At least three alternatives are                                                                             As a consequence, the Commission
                                                                                                         Market
                                                 available to minimize the economic                                                                             certifies that the proposed NOR
                                                 impact on small entities supplying                         The Commission could time the                       amending 16 CFR part 1112 to include
                                                 inclined sleep products while also                      effective date for warning labels and                  the infant inclined sleep products
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                                                 meeting the statutory objectives:                       instruction manuals to coincide with                   standard will not have a significant
                                                                                                         the timing of model changes in the                     impact on a substantial number of small
                                                 i. Adopt ASTM F3118–17 With No                          durable nursery product market. This                   entities.
                                                 Modifications                                           alternative may reduce the impact on all
                                                    Section 104 of the CPSIA requires that               of the known small businesses                          F. Impact of Product Registration Rule,
                                                 the Commission promulgate a standard                    supplying inclined sleep products to the               16 CFR Part 1130, on Small Businesses
                                                 that is either substantially the same as                U.S. market. In particular, this timing                  As discussed above in Sections I and
                                                 the voluntary standard or more stringent                could reduce costs associated with                     IX, the Commission proposes to amend


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                                                                                      Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules                                                     16973

                                                 the definition of ‘‘durable infant or                                      products to comply with product                          requirements for products come under
                                                 toddler product’’ in the consumer                                          registration card requirements, cost                     this categorical exclusion. 16 CFR
                                                 registration rule to reduce any                                            would depend on the number of                            1021.5(c)(1). The proposed rule falls
                                                 uncertainty as to whether inclined sleep                                   products an inclined sleep products                      within the categorical exclusion.
                                                 products are ‘‘durable infant or toddler                                   supplier sells annually. Such cost
                                                                                                                                                                                     XIV. Paperwork Reduction Act
                                                 products.’’ The product registration rule                                  components include card design, paper
                                                 requires that firms provide consumers                                      supplies, cutting and printing, postage,                   This proposed rule contains
                                                 with a postage-paid consumer                                               card attachment to product, and data                     information collection requirements that
                                                 registration card with each product,                                       entry, storage, and maintenance for                      are subject to public comment and
                                                 although firms may also maintain on-                                       returned cards. The Directorate for                      review by the Office of Management and
                                                 line registration pages as well. The                                       Economic Analysis’s memorandum at                        Budget (OMB) under the Paperwork
                                                 information supplied on the cards (but                                     Tab F of the staff’s briefing package                    Reduction Act of 1995 (44 U.S.C. 3501–
                                                 not necessarily the cards themselves)                                      provides detailed information on the                     3521). In this document, pursuant to 44
                                                 must be maintained for a minimum of                                        range of costs for individual elements of                U.S.C. 3507(a)(1)(D), we set forth:
                                                 six years.                                                                 inclined sleep product suppliers                           D A title for the collection of
                                                    Of the 14 small domestic firms                                          complying with product registration                      information;
                                                 identified by staff as supplying inclined                                  card requirements. [https://                               D a summary of the collection of
                                                 sleep products to the U.S. market, it is                                   www.cpsc.gov/s3fs-public/Proposed                        information;
                                                 likely that six will not be significantly                                  %20Rule%20-%20Safety%20Standard                            D a brief description of the need for
                                                 impacted by the requirements of the                                        %20for%20Infant%20Inclined                               the information and the proposed use of
                                                 product registration rule. Four of the six                                 %20Sleep%20Products%20-%20March                          the information;
                                                 firms supply combination products,                                         %2022%2C%202017.pdf] The prices for                        D a description of the likely
                                                 such as play yards with accessory                                          the inclined sleep products supplied by                  respondents and proposed frequency of
                                                 inclined sleep products that are already                                   the eight firms likely to be impacted by                 response to the collection of
                                                 covered under the product registration                                     the product registration rule range from
                                                 rule. All six firms have other products                                                                                             information;
                                                                                                                            $30 to $250. Firms selling inclined sleep
                                                 that are already subject to the product                                                                                               D an estimate of the burden that shall
                                                                                                                            products on the high end of that range
                                                 registration rule, as well as on-line                                                                                               result from the collection of
                                                                                                                            may be able to easily absorb these costs
                                                 product registration sites. Therefore,                                                                                              information; and
                                                                                                                            if they sell a larger volume (for example,
                                                 these firms likely already have the                                        a $1.10 per product cost increase                          D notice that comments may be
                                                 infrastructure to maintain the records                                     represents about 0.004% of a $250                        submitted to the OMB.
                                                 and would, at most, require cards to be                                    inclined sleep product), while it may be                   Title: Safety Standard for Infant
                                                 printed for, and shipped with, their                                       more difficult for a company selling                     Inclined Sleep Products.
                                                 inclined sleep products.                                                   their inclined sleep products for $30 to                   Description: The proposed rule would
                                                    To comply with the product                                              absorb or pass on their cost increase                    require each inclined sleep product to
                                                 registration rule, the remaining eight                                     even if they are a relatively high volume                comply with ASTM F3118–17,
                                                 firms (most of which produce only                                          firm (a $1.10 per product cost increase                  Standard Consumer Safety
                                                 infant hammocks on a very small scale)                                     represents about 0.037% of a $30                         Specification for Infant Inclined Sleep
                                                 would need to develop a postage-paid                                       inclined sleep product).                                 Products, with one modification.
                                                 product registration card for their                                                                                                 Sections 8 and 9 of ASTM F3118–17
                                                 inclined sleep products, include the                                       XIII. Environmental Considerations                       contain requirements for marking,
                                                 card with their other packaged                                               The Commission’s regulations address                   labeling, and instructional literature.
                                                 materials, and develop/maintain a                                          whether the agency is required to                        These requirements fall within the
                                                 system to store the information                                            prepare an environmental assessment or                   definition of ‘‘collection of
                                                 collected. Each model would require a                                      an environmental impact statement.                       information,’’ as defined in 44 U.S.C.
                                                 unique registration card that clearly                                      Under these regulations, certain                         3502(3).
                                                 identifies the product (e.g., model name,                                  categories of CPSC actions normally                        Description of Respondents: Persons
                                                 model number, product identification                                       have ‘‘little or no potential for affecting              who manufacture or import infant
                                                 number, or other identifier typically                                      the human environment,’’ and therefore                   inclined sleep products.
                                                 used by the firm). For many of the                                         do not require an environmental                            Estimated Burden: We estimate the
                                                 components that would make up the                                          assessment or an environmental impact                    burden of this collection of information
                                                 cost for firms that supply inclined sleep                                  statement. Safety standards providing                    as follows:

                                                                                                                 TABLE 1—ESTIMATED ANNUAL REPORTING BURDEN
                                                                                                                                                                  Frequency            Total                         Total
                                                                                                                                                Number of                                             Hours per
                                                                                 16 CFR section                                                                       of              annual                        burden
                                                                                                                                               respondents                                            response
                                                                                                                                                                  responses         responses                        hours

                                                 1236 .....................................................................................        25                   2               50               1            50
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                                                   Our estimate is based on the                                             required to make these modifications is                  model × 25 entities × 2 models per
                                                 following:                                                                 about 1 hour per model. Based on an                      entity = 50 hours. We estimate the
                                                   Twenty-five known entities supply                                        evaluation of supplier product lines,                    hourly compensation for the time
                                                 inclined sleep products to the U.S.                                        each entity supplies an average of 2                     required to create and update labels is
                                                 market may need to make some                                               models of inclined sleep products;                       $33.30 (U.S. Bureau of Labor Statistics,
                                                 modifications to their existing warning                                    therefore, the estimated burden                          ‘‘Employer Costs for Employee
                                                 labels. We estimate that the time                                          associated with labels is 1 hour per                     Compensation,’’ September 2016, Table


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                                                 16974                      Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules

                                                 9, total compensation for all sales and                 this rule to the OMB for review.                       consumer registration requirements. We
                                                 office workers in goods-producing                       Interested persons are requested to                    invite all interested persons to submit
                                                 private industries: http://www.bls.gov/                 submit comments regarding information                  comments on any aspect of this
                                                 ncs/). Therefore, the estimated annual                  collection by May 8, 2017, to the Office               proposal. In addition to requests for
                                                 cost to industry associated with the                    of Information and Regulatory Affairs,                 specific comments elsewhere in this
                                                 labeling requirements is $1,665 ($33.30                 OMB (see the ADDRESSES section at the                  NPR, the Commission requests
                                                 per hour × 50 hours = $1,665). No                       beginning of this notice). Pursuant to 44              comments on the standard’s scope
                                                 operating, maintenance, or capital costs                U.S.C. 3506(c)(2)(A), we invite                        language, the proposed effective date,
                                                 are associated with the collection.                     comments on:                                           and the costs of compliance with, and
                                                    Section 9.1 of ASTM F3118–17                           D Whether the collection of                          testing to, the proposed inclined sleep
                                                 requires instructions to be supplied                    information is necessary for the proper                products safety standard. During the
                                                 with the product. Under the OMB’s                       performance of the CPSC’s functions,                   comment period, the ASTM F3118–17
                                                 regulations (5 CFR 1320.3(b)(2)), the                   including whether the information will                 Standard Consumer Safety Specification
                                                 time, effort, and financial resources                   have practical utility;                                for Infant Inclined Sleep Products, is
                                                 necessary to comply with a collection of                  D the accuracy of the CPSC’s estimate                available as a read-only document at:
                                                 information that would be incurred by                   of the burden of the proposed collection               http://www.astm.org/cpsc.htm.
                                                 persons in the ‘‘normal course of their                 of information, including the validity of                Comments should be submitted in
                                                 activities’’ are excluded from a burden                 the methodology and assumptions used;                  accordance with the instructions in the
                                                 estimate, where an agency demonstrates                    D ways to enhance the quality, utility,              ADDRESSES section at the beginning of
                                                 that the disclosure activities required to              and clarity of the information to be                   this notice.
                                                 comply are ‘‘usual and customary.’’ We                  collected;
                                                 are unaware of inclined sleep products                    D ways to reduce the burden of the                   List of Subjects
                                                 that generally require use instructions                 collection of information on                           16 CFR Part 1112
                                                 but lack such instructions. However, it                 respondents, including the use of
                                                 is possible that some firms selling                     automated collection techniques, when                    Administrative practice and
                                                 homemade infant hammocks on a very                      appropriate, and other forms of                        procedure, Audit, Consumer protection,
                                                 small scale may not supply instruction                  information technology; and                            Reporting and recordkeeping
                                                 manuals as part of their ‘‘normal course                  D the estimated burden hours                         requirements, Third party conformity
                                                 of activities.’’ Based on information                   associated with label modification,                    assessment body.
                                                 collected for the infant slings                         including any alternative estimates.                   16 CFR Part 1130
                                                 rulemaking, staff tentatively estimates                 XV. Preemption
                                                 that each small entity supplying                                                                                 Administrative practice and
                                                 homemade infant hammocks might                             Section 26(a) of the CPSA, 15 U.S.C.                procedure, Business and industry,
                                                 require 50 hours to develop an                          2075(a), provides that when a consumer                 Consumer protection, Reporting and
                                                 instruction manual to accompany their                   product safety standard is in effect and               recordkeeping requirements.
                                                 products. It is uncertain how many                      applies to a product, no state or political            16 CFR Part 1236
                                                 homemade infant hammock suppliers                       subdivision of a state may either
                                                 are in operation at any point in time, but              establish or continue in effect a standard               Consumer protection, Imports,
                                                 based on staff’s review of the                          or regulation that prescribes                          Incorporation by reference, Infants and
                                                 marketplace, 50 firms seems like a                      requirements for the performance,                      children, Labeling, Law enforcement,
                                                 reasonable outside bound. These firms                   composition, contents, design, finish,                 and Toys.
                                                 typically supply only one infant                        construction, packaging, or labeling of                  For the reasons discussed in the
                                                 hammock model. Therefore, the costs of                  such product dealing with the same risk                preamble, the Commission proposes to
                                                 designing an instruction manual for                     of injury unless the state requirement is              amend Title 16 of the Code of Federal
                                                 these firms could be as high as $82,550                 identical to the federal standard. Section             Regulations as follows:
                                                 (50 hours per model × 50 entities × 1                   26(c) of the CPSA also provides that
                                                 models per entity = 2,500 hours ×                       states or political subdivisions of states             PART 1112—REQUIREMENTS
                                                 $33.02 per hour = $82,550). Not all                     may apply to the Commission for an                     PERTAINING TO THIRD PARTY
                                                 firms would incur these costs every                     exemption from this preemption under                   CONFORMITY ASSESSMENT BODIES
                                                 year, but new firms that enter the                      certain circumstances. Section 104(b) of
                                                                                                                                                                ■ 1. The authority citation for part 1112
                                                 market would and this is a highly                       the CPSIA refers to the rules to be
                                                                                                                                                                continues to read as follows:
                                                 fluctuating market. Other firms are                     issued under that section as ‘‘consumer
                                                 estimated to have no burden hours                       product safety rules.’’ Therefore, the                   Authority: 15 U.S.C. 2063; Pub. L. 110–
                                                 associated with section 9.1 of ASTM                     preemption provision of section 26(a) of               314, section 3, 122 Stat. 3016, 3017 (2008).
                                                 F3118–17 because any burden                             the CPSA would apply to a rule issued                  ■ 2. Amend § 1112.15 by adding
                                                 associated with supplying instructions                  under section 104.                                     paragraph (b)(46) to read as follows:
                                                 with inclined sleep products would be
                                                                                                         XVI. Request for Comments                              § 1112.15 When can a third party
                                                 ‘‘usual and customary’’ and not within
                                                 the definition of ‘‘burden’’ under the                    This NPR begins a rulemaking                         conformity assessment body apply for
                                                                                                         proceeding under section 104(b) of the                 CPSC acceptance for a particular CPSC rule
                                                 OMB’s regulations.
                                                                                                         CPSIA to issue a consumer product                      and/or test method?
                                                    Based on this analysis, staff estimates
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                                                 that the proposed standard for inclined                 safety standard for inclined sleep                     *     *    *     *     *
                                                 sleep products would impose a burden                    products, to amend part 1112 to add                      (b) * * *
                                                 to industry of 2,550 hours at a cost of                 inclined sleep products to the list of                   (46) 16 CFR part 1236, Safety
                                                 $84,915 annually.                                       children’s product safety rules for                    Standard for Infant Inclined Sleep
                                                    In compliance with the Paperwork                     which the CPSC has issued an NOR, and                  Products.
                                                 Reduction Act of 1995 (44 U.S.C.                        to amend part 1130 to identify inclined                *     *    *     *     *
                                                 3507(d)), we have submitted the                         sleep products as a durable infant or                  ■ 3. The authority citation for part 1130
                                                 information collection requirements of                  toddler product subject to CPSC                        continues to read as follows:


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                                                                            Federal Register / Vol. 82, No. 66 / Friday, April 7, 2017 / Proposed Rules                                            16975

                                                     Authority: 15 U.S.C. 2056a, 2056(b).                that is intended to provide sleeping                   Office of Surface Mining Reclamation
                                                 ■ 4. Amend § 1130.2 by adding                           accommodations for infants or                          and Enforcement, 135 Gemini Circle,
                                                 paragraph (a)(19) to read as follows:                   newborns and attaches to or is                         Suite 215, Homewood, Alabama 35209.
                                                                                                         supported by another product.                             • Fax: (205) 290–7280.
                                                 PART 1130—REQUIREMENTS FOR                                (2) [Reserved]                                          • Federal eRulemaking Portal: The
                                                 CONSUMER REGISTRATION OF                                  Dated: April 3, 2017.                                amendment has been assigned Docket
                                                 DURABLE INFANT OR TODDLER                               Todd A. Stevenson,
                                                                                                                                                                ID OSM–2016–0008. If you would like
                                                 PRODUCTS                                                                                                       to submit comments go to http://
                                                                                                         Secretary, Consumer Product Safety
                                                                                                         Commission.
                                                                                                                                                                www.regulations.gov. Follow the
                                                 § 1130.2    Definitions.                                                                                       instructions for submitting comments.
                                                 *     *    *     *     *                                [FR Doc. 2017–06875 Filed 4–6–17; 8:45 am]
                                                                                                                                                                   Instructions: All submissions received
                                                   (a) * * *                                             BILLING CODE 6355–01–P
                                                                                                                                                                must include the agency name and
                                                   (19) Infant inclined sleep products.                                                                         docket number for this rulemaking. For
                                                 *     *    *     *     *                                                                                       detailed instructions on submitting
                                                 ■ 5. Add part 1236 to read as follows:                  DEPARTMENT OF THE INTERIOR                             comments and additional information
                                                                                                                                                                on the rulemaking process, see the
                                                 PART 1236—SAFETY STANDARD FOR                           Office of Surface Mining Reclamation
                                                                                                                                                                ‘‘Public Comment Procedures’’ heading
                                                 INFANT INCLINED SLEEP PRODUCTS                          and Enforcement
                                                                                                                                                                of the SUPPLEMENTARY INFORMATION
                                                 Sec.                                                                                                           section of this document.
                                                                                                         30 CFR Part 901
                                                 1236.1 Scope.                                                                                                     Docket: For access to the docket to
                                                 1236.2 Requirements for infant inclined                 [SATS No. AL–080–FOR; Docket ID: OSM–                  review copies of the Alabama Plan, this
                                                      sleep products.                                    2016–0011; S1D1S SS08011000 SX064A000                  amendment, a listing of any scheduled
                                                                                                         178S180110; S2D2S SS08011000                           public hearings, and all written
                                                   Authority: Sec. 104, Pub. L. 110–314, 122
                                                                                                         SX064A000 17XS501520]                                  comments received in response to this
                                                 Stat. 3016 (August 14, 2008); Sec. 3, Pub. L.
                                                 112–28, 125 Stat. 273 (August 12, 2011).                                                                       document, you must go to the address
                                                                                                         Alabama Abandoned Mine Land
                                                                                                                                                                listed below during normal business
                                                 § 1236.1    Scope.                                      Reclamation Plan
                                                                                                                                                                hours, Monday through Friday,
                                                   This part establishes a consumer                      AGENCY:  Office of Surface Mining                      excluding holidays. You may receive
                                                 product safety standard for infant                      Reclamation and Enforcement, Interior.                 one free copy of the amendment by
                                                 inclined sleep products, including                                                                             contacting OSMRE’s Birmingham Field
                                                                                                         ACTION: Proposed rule; public comment
                                                 newborn inclined sleep products,                                                                               Office or the full text of the plan
                                                                                                         period and opportunity for public
                                                 compact inclined sleep products, and                                                                           amendment is available for you to
                                                                                                         hearing on proposed amendment.
                                                 accessory inclined sleep products.                                                                             review at www.regulations.gov.
                                                 § 1236.2 Requirements for infant inclined
                                                                                                         SUMMARY:    We, the Office of Surface                     Sherry Wilson, Director, Birmingham
                                                 sleep products.                                         Mining Reclamation and Enforcement                     Field Office, Office of Surface Mining
                                                                                                         (OSMRE), are announcing receipt of a                   Reclamation and Enforcement, 135
                                                    (a) Except as provided in paragraph
                                                                                                         proposed amendment to the Alabama                      Gemini Circle, Suite 215, Homewood,
                                                 (b) of this section, each infant inclined
                                                                                                         Abandoned Mine Land Reclamation                        Alabama 35209, Telephone: (205) 290–
                                                 sleep product must comply with all
                                                                                                         (AMLR) Plan (hereinafter, the Plan)                    7282, Email: swilson@osmre.gov.
                                                 applicable provisions of ASTM F3118–
                                                                                                         under the Surface Mining Control and                      In addition, you may review a copy of
                                                 17, Standard Consumer Safety
                                                                                                         Reclamation Act of 1977 (SMCRA or the                  the amendment during regular business
                                                 Specification for Infant Inclined Sleep
                                                                                                         Act). Alabama proposes revisions to                    hours at the following location:
                                                 Products (approved on January 1, 2017).
                                                                                                         modernize its Plan, which remains                         Alabama Department of Labor,
                                                 The Director of the Federal Register
                                                                                                         largely unchanged since its approval on                Abandoned Mine Land Reclamation
                                                 approves this incorporation by reference
                                                                                                         May 20, 1982, and encompass the                        Program, 11 West Oxmoor Road, Suite
                                                 in accordance with 5 U.S.C. 552(a) and
                                                                                                         November 14, 2008, changes to the                      100, Birmingham, Alabama 35209,
                                                 1 CFR part 51. You may obtain a copy
                                                                                                         Federal regulations.                                   Telephone: (205) 945–8671.
                                                 from ASTM International, 100 Bar
                                                                                                            This document gives the times and                   FOR FURTHER INFORMATION CONTACT:
                                                 Harbor Drive, P.O. Box 0700, West
                                                                                                         locations that the Alabama Plan and                    Sherry Wilson, Director, Birmingham
                                                 Conshohocken, PA 19428; http://
                                                                                                         proposed amendment to that plan are                    Field Office. Telephone: (205) 290–
                                                 www.astm.org/cpsc.htm. You may
                                                                                                         available for your inspection, the                     7282. Email: swilson@osmre.gov.
                                                 inspect a copy at the Office of the
                                                                                                         comment period during which you may
                                                 Secretary, U.S. Consumer Product                                                                               SUPPLEMENTARY INFORMATION:
                                                                                                         submit written comments on the
                                                 Safety Commission, Room 820, 4330                                                                              I. Background on the Alabama Plan
                                                                                                         amendment, and the procedures that we
                                                 East West Highway, Bethesda, MD                                                                                II. Description of the Proposed Amendment
                                                                                                         will follow for the public hearing, if one
                                                 20814, telephone 301–504–7923, or at                                                                           III. Public Comment Procedures
                                                                                                         is requested.
                                                 the National Archives and Records                                                                              IV. Procedural Determinations
                                                 Administration (NARA). For                              DATES: We will accept written
                                                                                                         comments on this amendment until 4:00                  I. Background on the Alabama Plan
                                                 information on the availability of this
                                                 material at NARA, call 202–741–6030,                    p.m., c.t., May 8, 2017. If requested, we                 The Abandoned Mine Land
                                                 or go to: http://www.archives.gov/                      will hold a public hearing on the                      Reclamation Program was established
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                                                 federal_register/                                       amendment on May 2, 2017. We will                      by Title IV of the Act, (30 U.S.C. 1201
                                                 code_of_federalregulations/                             accept requests to speak at a hearing                  et seq.) in response to concerns over
                                                 ibr_locations.html.                                     until 4:00 p.m., c.t. on April 24, 2017.               extensive environmental damage caused
                                                    (b) Instead of complying with section                ADDRESSES: You may submit comments,                    by past coal mining activities. The
                                                 3.1.1 of ASTM F3118–17, comply with                     identified by SATS No. AL–080–FOR by                   program is funded by a reclamation fee
                                                 the following:                                          any of the following methods:                          collected on each ton of coal that is
                                                    (1) 3.1.1 accessory inclined sleep                      • Mail/Hand Delivery: Sherry Wilson,                produced. The money collected is used
                                                 product, n—an inclined sleep product                    Director, Birmingham Field Office,                     to finance the reclamation of abandoned


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Document Created: 2017-04-06 23:49:36
Document Modified: 2017-04-06 23:49:36
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 June 21, 2017.
ContactCelestine T. Kish, Project Manager, Directorate for Engineering, U.S. Consumer Product Safety Commission, 5 Research Place, Rockville, MD 20850; telephone: (301) 987-2547; email: [email protected]
FR Citation82 FR 16963 
CFR Citation16 CFR 1112
16 CFR 1130
16 CFR 1236
CFR AssociatedAdministrative Practice and Procedure; Audit; Consumer Protection; Reporting and Recordkeeping Requirements; Third Party Conformity Assessment Body; Business and Industry; Imports; Incorporation by Reference; Infants and Children; Labeling; Law Enforcement and Toys

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