83_FR_30964 83 FR 30837 - Safety Standard for Booster Seats

83 FR 30837 - Safety Standard for Booster Seats

CONSUMER PRODUCT SAFETY COMMISSION

Federal Register Volume 83, Issue 127 (July 2, 2018)

Page Range30837-30849
FR Document2018-14133

Pursuant to the Consumer Product Safety Improvement Act of 2008 (CPSIA), the U.S. Consumer Product Safety Commission (CPSC) is issuing this final rule establishing a safety standard for booster seats. The Commission is also amending its regulations regarding third party conformity assessment bodies to include the safety standard for booster seats in the list of notices of requirements (NORs).

Federal Register, Volume 83 Issue 127 (Monday, July 2, 2018)
[Federal Register Volume 83, Number 127 (Monday, July 2, 2018)]
[Rules and Regulations]
[Pages 30837-30849]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-14133]


=======================================================================
-----------------------------------------------------------------------

CONSUMER PRODUCT SAFETY COMMISSION

16 CFR Parts 1112 and 1237

[CPSC Docket No. 2017-0023]


Safety Standard for Booster Seats

AGENCY: Consumer Product Safety Commission.

ACTION: Final rule.

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

SUMMARY: Pursuant to the Consumer Product Safety Improvement Act of 
2008 (CPSIA), the U.S. Consumer

[[Page 30838]]

Product Safety Commission (CPSC) is issuing this final rule 
establishing a safety standard for booster seats. The Commission is 
also amending its regulations regarding third party conformity 
assessment bodies to include the safety standard for booster seats in 
the list of notices of requirements (NORs).

DATES: This rule will become effective January 2, 2020. The 
incorporation by reference of the publication listed in this rule is 
approved by the Director of the Federal Register as January 2, 2020.

FOR FURTHER INFORMATION CONTACT: Keysha Walker, Lead Compliance 
Officer, U.S. Consumer Product Safety Commission, 4330 East-West 
Highway, Bethesda, MD 20814; telephone: 301-504-6820; email: 
[email protected].

SUPPLEMENTARY INFORMATION: 

I. Background and Statutory Authority

    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 and toddler 
products. Standards issued under section 104 of the CPSIA are to be 
``substantially the same as'' the applicable voluntary standards or 
more stringent than the voluntary standard, if the Commission 
determines that more stringent requirements would further reduce the 
risk of injury associated with the product.
    The term ``durable infant or toddler product'' is defined in 
section 104(f)(1) of the CPSIA as ``a durable product intended for use, 
or that may be reasonably expected to be used, by children under the 
age of 5 years,'' and the statute specifies 12 categories of products 
that are included in the definition, including various types of 
children's chairs. Section 104(f)(2)(C) of the CPSIA specifically 
identifies ``booster chairs'' as a durable infant or toddler product. 
Additionally, the Commission's regulation requiring product 
registration cards defines ``booster seats'' as a durable infant or 
toddler product subject to the registration card rule. 74 FR 68668 
(Dec. 29, 2009); 16 CFR 1130.2(a)(3).
    As required by section 104(b)(1)(A) of the CPSIA, the Commission 
consulted with manufacturers, retailers, trade organizations, 
laboratories, consumer advocacy groups, consultants, and the public to 
develop this rule, largely through the ASTM process. On May 19, 2017, 
the Commission issued a notice of proposed rulemaking (NPR) for booster 
seats.\1\ 82 FR 22925. The NPR proposed to incorporate by reference the 
voluntary standard, without modification, developed by ASTM 
International, ASTM F2640-17[epsiv]\1\, Standard Consumer Safety 
Specification for Booster Seats (ASTM F2640-17[epsiv]\1\).
---------------------------------------------------------------------------

    \1\ Staff's May 3, 2017 Briefing Package for the NPR (Staff's 
NPR Briefing Package) is available at: https://www.cpsc.gov/s3fs-public/Notice%20of%20Proposed%20Rulemaking%20-%20Booster%20Seats%20-%20May%203%202017.pdf?97pmoM5UAGyQBBPFtTPyvFu_RjCZMAwL.
---------------------------------------------------------------------------

    In this document, the Commission is issuing a final mandatory 
consumer product safety standard for booster seats. Since the NPR 
published, ASTM approved (April 1, 2018) and published (April, 2018) 
the current version of the voluntary standard for booster seats, ASTM 
F2640-18, Standard Consumer Safety Specification for Booster Seats 
(ASTM F2640-18), with three changes from the previous version:
     New performance and testing requirements for a new type of 
booster seat that hangs from the back of an adult chair;
     Clarification of the installation position for measuring a 
booster seat on an adult chair; and
     New warning statement in the instructional literature to 
address booster seats that do not have a reclined position.
As set forth in section IV.C.2 of this preamble, the Commission finds 
that each of these changes enhances the safety of booster seats.\2\ 
Accordingly, after the Commission's review and consideration of the 
revised ASTM standard and the comments on the NPR, the final rule 
incorporates by reference, without modification, the most recent 
voluntary standard for booster seats, ASTM F2640-18.
---------------------------------------------------------------------------

    \2\ Tabs B and C of the June 20, 2018 Staff's Draft Final Rule 
for Booster Seats Under the Danny Keysar Child Product Safety 
Notification Act (Staff's Final Rule Briefing Package) explain and 
assess the new warning statement and the performance and testing 
requirements in the standard. The Staff's Final Rule Briefing 
Package is available at https://www.cpsc.gov/s3fs-public/Final%20Rule%20-%20Safety%20Standard%20for%20Booster%20Seats%20-%20June%2020%202018.pdf?cCIgKaAyOt3nn.yeNTa5f8rpH7DsJB0v.
---------------------------------------------------------------------------

    Additionally, the final rule amends the list of notices of 
requirements (NORs) issued by the Commission in 16 CFR part 1112 to 
include the standard for booster seats. Under section 14 of the CPSA, 
the Commission promulgated 16 CFR part 1112 to establish requirements 
for accreditation of third party conformity assessment bodies (or 
testing laboratories) to test for conformity with a children's product 
safety rule. Amending part 1112 adds an NOR for the booster seat 
standard to the list of children's product safety rules.

II. Product Information

A. Definition of ``Booster Seat''

    ASTM F2640-18 defines a ``booster seat'' as:

a juvenile chair, which is placed on an adult chair to elevate a 
child to standard dining table height. The booster seat is made for 
the purpose of containing a child, up to 5 years of age, and 
normally for the purposes of feeding or eating. A booster seat may 
be height adjustable and include a reclined position.

    Booster seats may be constructed from a wide variety of materials, 
including wood, plastic, fabric, metal, and/or foam. Most booster 
seats, notably those intended for home use, have removable trays, 
allowing a table to be used as an alternative eating surface. Some 
booster seats are intended to double as floor seats for toddlers, and 
others are high chair/booster seat combination products. The ASTM 
standard covers combination products when the product is in a booster 
seat configuration.
    The definition of ``booster seat'' in ASTM F2640-18 is broad and 
includes within the scope of the standard booster seats that are 
designed specifically for use in restaurants. Several suppliers sell 
these ``food-service'' booster seats directly to restaurants or through 
restaurant supply companies. Consumers also may purchase some of these 
products directly, for example, through online third parties that act 
as brokers between buyers and sellers. Consequently, consumers use 
food-service booster seats in homes and in restaurant establishments 
open to the public. The Commission agrees with the scope of ASTM F2640-
18, and is not excluding food-service booster seats from the final 
rule.
    The final rule for booster seats does not cover children's seats 
intended for use in motor vehicles, which are also sometimes referred 
to as ``booster seats.''

B. Market Description

    CPSC staff identified 44 domestic firms supplying booster seats to 
the U.S. market. Thirty-four (34) domestic firms market their booster 
seats exclusively to consumers, while ten (10) domestic firms sell 
booster seats exclusively to restaurant or restaurant supply stores 
(usually through regional distributors or an internal portal). Sixteen 
of the 34 domestic firms that sell exclusively to

[[Page 30839]]

consumers are compliant with the current voluntary standard for booster 
seats. Of the 10 domestic firms selling food-service booster seats, 
none are compliant with the ASTM voluntary standard. Of the 44 known 
domestic suppliers, 29 are domestic manufacturers (10 large and 19 
small), 14 are domestic importers (five large and nine small), and one 
is a small domestic firm whose supply source staff could not 
determine.\3\
---------------------------------------------------------------------------

    \3\ Staff made determinations using information from Dun & 
Bradstreet and ReferenceUSAGov, as well as firm websites.
---------------------------------------------------------------------------

    Staff identified two foreign manufacturers selling directly to the 
United States. Other foreign booster seats are entering the U.S. market 
in a variety of ways as well. Staff found that online storefronts and 
online retailers, acting as brokers between buyers and sellers, are the 
source of a large number of booster seat products, particularly from 
Asia and Europe. Products purchased through these websites are 
sometimes shipped by the individual sellers. Often, staff cannot 
determine whether an online seller is located in the United States, or 
overseas, or whether the seller is a manufacturer, retailer, or 
importer, which makes it difficult for staff to categorize these 
companies for analysis. Staff found that European booster seats are 
also entering the U.S. market through foreign retailers who are willing 
to ship directly to the United States. Booster seats available online 
from foreign suppliers are less likely to be compliant with the ASTM 
voluntary standard.

III. Incident Data

A. CPSRMS Data

    The data discussed in this section come from CPSC's Consumer 
Product Safety Risk Management System (CPSRMS), which collects data 
from consumer reports, medical examiners, other state and local 
authorities, retailer reports, newspaper clippings, death certificates, 
and follow-up CPSC In-Depth Investigations of reported incidents.\4\ 
From the CPSRMS, CPSC is aware of a total of 912 incidents (2 fatal and 
152 nonfatal injuries) related to booster seats reported to have 
occurred from January 1, 2008 through October 31, 2017.\5\ The 912 
booster seat incidents include 45 new booster seat-related incidents 
reported since publication of the NPR (collected between October 1, 
2016 and October 31, 2017). None of the 45 newly reported incidents is 
a fatality. All of the newly reported incidents fall within the same 
hazard patterns identified in the NPR. Retailers and manufacturers 
reporting through the CPSC's ``Retailer Reporting Program'' account for 
93 percent of the newly reported incidents (42 out of 45 incidents). 
CPSC received the remaining three incident reports from consumers using 
SaferProducts.gov. CPSC Field staff conducted an In-Depth Investigation 
on one of the newly reported incidents.
---------------------------------------------------------------------------

    \4\ These reported deaths and incidents do not provide a 
complete count of all that occurred during this time period. 
However, they do provide a minimum number of incidents occurring 
during this period and illustrate the circumstances involved in the 
incidents related to booster seats.
    \5\ The NPR described incidents reported to have occurred from 
January 1, 2008 through September 30, 2016. A detailed description 
of these data can be found in Tab A of the Staff's NPR Briefing 
Package.
    Tab A of the Staff's Final Rule Briefing Package provides a 
detailed description of the 45 newly reported incidents (collected 
between October 1, 2016 and October 31, 2017). Fifty-three percent 
of the 45 newly reported incidents were reported to have occurred 
between October 2016 and October, 2017 (i.e., post-NPR timeframe). 
The remaining 47 percent of newly reported incidents occurred during 
the timeframe covered in the NPR.
---------------------------------------------------------------------------

1. Fatalities
    CPSC received reports of two fatalities associated with the use of 
a booster seat. Both incidents occurred in 2013 and were described in 
the NPR:
    [ssquf] In one incident, a 22-month-old female, sitting on a 
booster seat attached to an adult chair, pushed off from the table and 
tipped the adult chair backwards into a glass panel of a china cabinet 
behind her. The cause of death was listed as ``exsanguination due to 
hemorrhage from incised wound.''
    [ssquf] In the other incident, a 4-year-old male fell from a 
booster seat to the floor; he seemed uninjured at the time, but later 
that evening while riding his bike, the child fell, became 
unresponsive, and later died. The cause of death was multiple blunt 
force trauma.
2. Nonfatalities
    CPSC is aware of 152 booster seat nonfatal injury incidents 
occurring between January 1, 2008 and October 31, 2017 (146 incidents 
reported in the NPR and 6 newly reported incidents). A majority of 
these incidents involved children 18 months and younger. The severity 
of the injury types among the 152 reported injuries are described 
below:
    [ssquf] Five children required a hospital admission. The injuries 
were skull fractures, concussions, and other head injuries.
    [ssquf] Another 22 children were treated and released from a 
hospital emergency department (ED) for injuries resulting mostly from 
falls.
    [ssquf] The remaining incidents primarily involved contusions, 
abrasions, and lacerations, due to falls or entrapment of limbs/
extremities.
    No injury occurred, or the report did not mention an injury 
occurring, for the remaining 758 incident reports (719 incidents 
reported in the NPR and 39 newly reported incidents). However, CPSC 
staff's review of these incident report descriptions indicates the 
potential for a serious injury or even death.

B. Hazard Pattern Identification

    CPSC considered all 912 reported incidents to identify the 
following hazard patterns associated with booster seats:
    1. Restraint/Attachment Problems (37%): 339 incidents (317 
incidents reported in the NPR and 22 newly reported incidents) involved 
the mechanism for attaching a booster seat to an adult chair, or the 
restraint system that contains the child within the booster seat. 
Issues with the attachment mechanism included anchor buckles/clasps/
straps breaking, tearing, fraying, detaching or releasing. Restraint-
system problems included: buckles/prongs breaking, jamming, releasing 
too easily, or separating from straps; straps tearing or fraying, 
pinching, or coming undone; and general inadequacy or ineffectiveness 
of restraints in containing the child in place. In 21 incident reports, 
staff could not determine from the report if the buckle or strap 
referred to in the report meant the restraint or the attachment system. 
In eight of the incident reports, both systems were reported to have 
failed. Thirty-seven injuries (all reported in the NPR) are included in 
this category, of which seven were treated at a hospital ED.
    2. Seat-Related Issues (28%): 255 incidents (254 incidents reported 
in the NPR and 1 newly reported incident) involved seat-related issues. 
These incidents included failure of the lock/latch that controls the 
seat-recline function; tearing, cracking, and/or peeling seat pads; 
detaching seat backs; failure of seat height adjustment lock/latches; 
and seats detaching from the base of certain models. Twenty-two 
injuries are included in this category: Three resulting in 
hospitalization and five ED-treated injuries. The newly reported 
incident involved the booster seatback detaching altogether, allowing 
the child to fall and sustain multiple skull fractures, requiring 
hospitalization.
    3. Tray-Related Issues (21%): 189 incidents (171 incidents reported 
in the NPR and 18 newly reported incidents) involved issues related to 
booster seat trays. These incidents included tray

[[Page 30840]]

paint finish peeling off, trays failing to lock/stay locked, trays with 
sharp protrusions on the underside, trays too tight/difficult to 
release, and trays pinching fingers. These incidents also included 
complaints about broken toy accessories, which are usually attached to 
the tray (or tray insert). Thirty-eight injuries are included in this 
category, including one that required ED treatment.
    4. Design Problems (3.8%): 35 incidents (33 discussed in the NPR 
and 2 newly reported) involved a potential entrapment hazard due to the 
design of the booster seat. Most of these incidents involved limbs, 
fingers, and toes entrapped in spaces/openings between the armrest and 
seat back/tray, between the passive crotch-restraint bar and the seat/
tray, between the tray inserts, or in toy accessories. Sixteen injuries 
were included in this category, two requiring ED treatment.
    5. Stability-Related Issues (3.4%): 31 incidents, discussed in the 
NPR, involved booster seat stability. Most of these incidents (27 of 
31) concerned the adult chair to which the booster seat was attached 
tipping back or tipping over. Some of these incidents resulted from the 
child pushing back from the table or counter. Twenty-two injuries 
(including two hospitalizations and five ED-treated injuries) and one 
fatality are included in this category.
    6. Armrest Problems (2.6%): 24 incidents, discussed in the NPR, 
involved booster seat armrests cracking or breaking. In a few cases, 
the armrest reportedly arrived broken inside the booster seat 
packaging. One injury is included in this category.
    7. Miscellaneous Product Issues (1.9%): 17 miscellaneous incidents 
(16 incidents reported in the NPR and 1 newly reported incidents) 
involved a variety of product-related issues, including unclear 
assembly instructions, poor quality construction, odor, rough surface, 
rough edges, breakage, or loose hardware at unspecified sites. One 
incident report alleged that the poor design of the booster seat failed 
to contain/support the child and led to a fall injury. Ten injuries 
were included in this category, including two ED-treated injuries.
    8. Combination of Multiple Issues (1.9%): 17 incidents, discussed 
in the NPR, involved a combination of the product hazards listed above. 
Four injuries were included in this category.
    9. Unknown Issues (0.5%): Five incidents involved unknown issues (4 
incidents reported in the NPR and 1 newly reported incident). In these 
incidents, CPSC staff had insufficient information to determine how the 
incidents occurred. One incident in this category, a fatality, reported 
confounding factors that likely contributed to the death. Two other 
injuries were reported in this category, including a fall injury.

C. NEISS Data

    The National Electronic Injury Surveillance System (NEISS), a 
statistically valid injury surveillance system,\6\ is the source of the 
injury estimates discussed in this section. Since the NPR, new ED-
treated injury data have become available for 2016. However, the 
estimates for 2016 are not reportable per NEISS publication 
criteria.\7\ As such, the Commission presents the injury estimates and 
injury characteristics for the aggregate data from 2008 through 2016.
---------------------------------------------------------------------------

    \6\ NEISS injury data are gathered from EDs of hospitals 
selected as a probability sample of all the U.S. hospitals with EDs 
open 24 hours a day that have at least six beds. The surveillance 
data gathered from the sample hospitals enable the CPSC staff to 
make timely national estimates of the number of injuries associated 
with specific consumer products.
    Staff extracted all data coded under product code 1556 
(Attachable high chairs including booster seats) for patients aged 
under 5 years. Staff considered certain records out-of-scope for the 
purposes of this memorandum. For example, staff excluded hook-on 
chair-related incidents that are also covered under product code 
1556 or car booster seats incorrectly coded as 1556; and also 
considered out-of-scope a sibling or a pet knocking over the adult 
chair holding the booster seat containing the child. Staff excluded 
these records prior to deriving the statistical injury estimates.
    \7\ According to the NEISS publication criteria, an estimate 
must be 1,200 or greater, the sample size must be 20 or greater, and 
the coefficient of variation must be 33 percent or smaller.
---------------------------------------------------------------------------

    CPSC staff estimates a total of 12,000 injuries (sample size = 455, 
coefficient of variation = 0.10) related to booster seats were treated 
in U.S. hospital EDs over the 9-year period from 2008 through 2016. 
NEISS data for 2017 is not complete at this point in time. Similar to 
2016, staff cannot report injury estimates for some of the other 
individual years because of the NEISS publication criteria. Note, 
however, that staff did not observe any trend over the 9-year period 
regarding injuries increasing or decreasing.
    No deaths were reported through the NEISS. About 64 percent of the 
injured were younger than 2 years of age; among the remaining, 24 
percent, 8 percent, and 4 percent were 2-year-olds, 3-year-olds, and 4-
year-olds, respectively. For the ED-treated injuries related to booster 
seats reported in the 9-year period, the following characteristics 
occurred most frequently:
     Hazard--falls out of the booster seat (97 percent). Most 
of the falls were due to:
    [cir] Unspecified circumstances (55 percent).
    [cir] Unspecified tip overs (18 percent); tip overs due to child 
pushing back or rocking in seat (6 percent).
    [cir] Booster seat attachment or child-restraint mechanism failure/
defeat/non-use (8 percent).
     Injured body part--head (58 percent), face (22 percent), 
and mouth (7 percent).
     Injury type--internal organ injury (40 percent), 
lacerations (24 percent), and contusions/abrasions (19 percent).
     Disposition--treated and released (about 98 percent).
    Incidents in a Restaurant Setting. For the NPR, CPSC staff noted 
that although most of the incidents occurred in home settings, one 
incident report explicitly mentioned a restaurant where an infant was 
using a booster seat provided by the establishment. Among the new 
incidents that staff analyzed, none occurred at a restaurant.
    Among the NEISS ED-treated injury data, from 2008 to 2016, 31 
injury reports explicitly mentioned that the injury occurred in a 
restaurant setting. Although these 31 reports are included in the 
larger sample that yielded the total estimated number of injuries of 
12,000, a national injury estimate for restaurant injuries only does 
not meet the NEISS publication criteria and is not presented here. 
Staff reviewed the injury characteristics in these reports, which 
indicated that all of the injuries resulted from falls, but the 
circumstances were unspecified for the most part. Staff cannot discern 
from the injury reports whether the booster seats involved were 
provided by the establishment.

D. Product Recalls

    Compliance staff reviewed recalls of booster seats that occurred 
from January 1, 2008 to May 30, 2018. During that time, two consumer-
level recalls involved booster seats. Both recalls involved a fall 
hazard. One recalled product was associated with a fall hazard when the 
stitching on the booster seat's restraint straps loosened, allowing the 
straps to separate from the seat and the child to fall out of the seat. 
Another recall involved the booster seat restraint buckle, which opened 
unexpectedly, allowing a child to fall from the chair and be injured.

IV. Overview and Assessment of ASTM F2640

A. Overview of ASTM F2640

    The voluntary standard for booster seats, ASTM F2640, Standard 
Consumer Safety Specification for Booster Seats, is

[[Page 30841]]

intended to minimize the risk of injury or death to infants in booster 
seats associated with falls from booster seats, tipping over or out of 
booster seats, restraint disengagement or lack of a restraint system, 
tray disengagement, booster seats stability while attached to an adult 
chair, entrapments in booster seats, and other hazards such as cuts, 
bruises, and lacerations. ASTM F2640 was first approved and published 
in 2007, as ASTM F2640-07, Standard Consumer Safety Specification for 
Booster Seats. ASTM has since revised the voluntary standard 11 times. 
Tab C of Staff's Final Rule Briefing Package includes a description of 
each revision through 2018.
    The current version of the standard, ASTM F2640-18, was approved on 
April 1, 2018, and published in April 2018. ASTM F2640-18 includes 
three changes from the version of the standard proposed in the NPR, 
ASTM F2640-17[epsiv]\1\:
     New performance and testing requirements for a new type of 
booster seat that hangs from the back of an adult chair;
     Clarification of the installation position for measuring a 
booster seat on an adult chair; and
     New warning statement in Instructional Literature to 
address booster seats that do not have a recline position.
    In section IV.C below, we describe and assess each change.

B. Description of ASTM F2640-18

    ASTM F2640-18 includes these key provisions: Scope, terminology, 
general requirements, performance requirements, test methods, marking 
and labeling, and instructional literature.
    Scope. This section describes what constitutes a ``booster seat.'' 
As stated in section II.A. of this preamble, the Scope section 
describes a booster seat as ``a juvenile chair, which is placed on an 
adult chair to elevate a child to standard dining table height.'' The 
description further specifies appropriate ages for children using a 
booster seat, stating, a ``booster seat is made for the purpose of 
containing a child, up to 5 years of age, and normally for the purposes 
of feeding or eating.''
    Terminology. This section defines terms specific to this standard.
    General Requirements. This section addresses numerous hazards with 
several general requirements; most of these general requirements are 
also found in the other ASTM juvenile product standards. The general 
requirements included in this section are:
    [ssquf] Sharp points or edges;
    [ssquf] Small parts;
    [ssquf] Wood parts;
    [ssquf] Lead in paint;
    [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 booster seats (discussed here) and 
the required test methods to assess conformity with such requirements.
    [ssquf] Tray impact test: This test assesses the tray's resistance 
to breaking into small pieces or creating sharp points/edges when 
dropped from a specified height.
    [ssquf] Tray engagement test: This test assesses the tray's ability 
to remain engaged to the booster seat when subjected to a specified 
force horizontally and vertically.
    [ssquf] Static load test: This test assesses whether the booster 
seat can support its maximum recommended weight, by gradually applying 
a static load on the center of the seating surface for a specified 
amount of time.
    [ssquf] Restraint system test: This test assesses whether the 
restraint system can secure a child in the manufacturer's recommended-
use positions.
    [ssquf] Seat attachment test: This test specifies that a booster 
seat must have a means of attaching a booster seat to an adult chair 
and assesses the booster seat's ability to remain fastened to the adult 
chair when force is applied.
    [ssquf] Structural integrity (dynamic load): This requirement 
assesses the durability of the booster seat, including locking/latching 
devices which prevent folding or adjustment of the booster seat.
    [ssquf] Maximum booster seat dimensions: This requirement assesses 
how large a booster seat can be in relation to the adult chair 
dimensions specified on the booster seat's packaging.
    Marking and Labeling. This section contains various requirements 
related to warnings, labeling, and required markings for booster seats, 
and it prescribes various substance, format, and prominence 
requirements for this information.
    Instructional Literature. This section requires that easily 
readable and understandable instructions be provided with booster 
seats. Additionally, the section contains requirements related to 
instructional literature contents and format.

C. Assessment of ASTM F2640-18

    CPSC staff identified 912 incidents (including two fatalities) 
related to the use of booster seats. CPSC staff examined the incident 
data, identified hazard patterns in the data, and worked with ASTM to 
develop and update the performance requirements in ASTM F2640. The 
incident data and identified hazard patterns formed the basis for ASTM 
to develop ASTM F2640-18 with CPSC staff's support throughout the 
process.\8\ 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, and it 
also describes and assesses each of the three changes included in ASTM 
F2640-18.
---------------------------------------------------------------------------

    \8\ Assessment of ASTM F2640-17[epsiv]\1\ in the NPR is at 82 FR 
22928-29, and in Tab B of Staff's NPR Briefing Package.
---------------------------------------------------------------------------

1. Adequacy of ASM F2640-18 To Address Hazard Patterns
a. Restraint/Attachment Problems
    Restraint system and attachment problems included buckles/prongs 
breaking, jamming, releasing too easily, or separating from straps; 
straps tearing or fraying, pinching, or coming undone; and inadequacy 
or ineffectiveness of restraints in containing the child in place, 
Similarly, complaints about the seat attachment system involved anchor 
buckles/clasps/straps breaking, tearing, fraying, detaching, or 
releasing. The Commission has reviewed CPSC staff's evaluation of the 
attachment and restraint system tests in ASTM F2640-18, and concludes 
that these tests adequately address the identified hazards.
    Section 6.5 of ASTM F2640-18 requires that a booster seat must have 
a means of ``attaching'' to an adult chair, and be able to withstand a 
specified force without becoming detached from the adult chair. Booster 
seats may employ several methods to secure to an adult chair, including 
straps, suction, and anti-skid bottoms or grip feet that minimize 
slippage on the chair by means of friction. However, because ``grip 
feet'' and ``friction bottoms'' do not actually attach (i.e., fasten) 
the booster seat to an adult chair, the ASTM standard does not consider 
these to be a means of securing or attaching booster seats to an adult 
chair. The Commission agrees. Conversely, because suction physically 
fastens the booster seat to an adult chair, the ASTM standard considers 
suction to be a means of attachment under Section 6.5 of the current 
ASTM standard. The Commission agrees with this as well. Accordingly, 
the final rule requires any booster seat using suction as a means of

[[Page 30842]]

attachment to pass the attachment test to be compliant.
b. Seat-Related Issues
    Seat-related issues included failure of the lock/latch that 
controls the seat-recline function; seat pads tearing, cracking, and/or 
peeling; seat backs detaching altogether; seat height adjustment lock/
latch failures; and seat detachment from the base that is available for 
certain models. The Commission has reviewed CPSC staff's evaluation of 
the static load and dynamic booster seat tests in ASTM F2640-18, and 
concludes that these tests adequately address these hazards.
c. Tray-Related Issues
    Tray-related issues included trays with paint finish peeling off, 
trays failing to lock/stay locked, trays with sharp protrusions on the 
underside, trays that were too tight/difficult to release, and trays 
pinching fingers. The Commission has reviewed CPSC staff's evaluation 
of the standard, and concludes that the general requirements section of 
F2640-18 adequately addresses peeling paint, sharp protrusions, and 
pinching hazards, and the standard's tray engagement test adequately 
address the tray locking failures.
d. Design Problems
    Booster seat design problems resulted in limbs, fingers, and toes 
entrapped in spaces/openings between the armrest and seat back/tray, 
between a passive crotch restraint bar and seat/tray, between tray 
inserts, or in toy accessories. The Commission has reviewed CPSC 
staff's evaluation of the general requirements of ASTM 2640-18 (namely 
requirements relating to scissoring, shearing, and pinching, openings, 
and toys) and concludes that the ASTM standard adequately addresses the 
identified hazards.
e. Stability-Related Issues
    Stability-related incidents included instances where the adult 
chair, to which the booster seat was attached, tipped back or tipped 
over. Addressing the stability of the booster seat while attached to an 
adult chair is difficult in a standard for booster seats because 
stability depends on the adult chair. The ASTM booster seat 
subcommittee and CPSC staff worked diligently to find an effective 
requirement to adequately address stability without specifying 
requirements for the adult chair. Although ASTM F2640-18 does not 
contain a performance requirement to address this hazard, it does 
contain a labeling provision, requiring that booster seats must contain 
a cautionary statement: ``Never allow a child to push away from 
table.'' Moreover, ASTM F2640-18 requires a booster seat to identify on 
the booster seat packaging the size of adult chair on which the booster 
seat can fit, thereby allowing consumers to make a more informed 
purchasing choice.
f. Armrest Problems
    Armrest problems included booster seat armrests cracking, and in a 
few cases, the armrest arriving to the consumer broken in the 
packaging. The Commission has reviewed CPSC staff's evaluation of the 
static and dynamic load tests contained in ASTM F2640-18, and concludes 
that those tests adequately address armrest-related hazards.
g. Miscellaneous Product-Related Issues
    Miscellaneous product-related issues included unclear assembly 
instructions, poor quality construction, odor, rough surfaces, 
breakage, or loose hardware at unspecified sites. The Commission has 
reviewed CPSC staff's evaluation of the general requirements section, 
as well as the instructional literature requirements of ASTM F2640-18, 
and concludes that those requirements adequately address this hazard.
2. Description and Assessment of Changes in ASTM F2640-18
    Below we describe each of the three changes in the voluntary 
standard since publication of the NPR, as reflected in ASTM F2640-18. 
The Commission finds that each of these requirements enhances the 
safety of booster seats and strengthens the standard incorporated as 
the final rule for booster seats.
a. New Performance and Testing Requirements for a New Type of Booster 
Seat That Hangs From the Back of an Adult Chair
    The new style of booster seat attaches to the adult chair 
fundamentally differently than typical booster seats. This new design 
can fold and is marketed as a travel booster seat. Typical booster 
seats are placed on the seat of the chair and usually attached to the 
seat and back with straps. Thus, the typical booster seat rests on the 
chair seat and the adult chair seat bears all of the booster seat's 
weight. The new style of booster seat has a frame that hangs over the 
top of the adult chair seat back, usually with umbrella style hooks, 
and has feet that rest on the seat of the adult chair. The child's 
seating area is attached to the frame. Tab C of Staff's Final Rule 
Briefing Package contains a picture of this design.
    Section 6.7 of ASTM F2640-18 addresses this style of booster seat 
and has two requirements. The first requirement states that, when in 
all manufacturer's recommended use positions, the booster seat must not 
tilt forward more than 10 degrees from the horizontal. This requirement 
was added because a seat that is tilted forward too far may result in a 
child falling out of the seat. The second requirement states that the 
backrest support contact must contact the top of the adult chair 
backrest and extend over and below the top rear edge of the adult chair 
backrest. This requirement was added to ensure that the booster seat is 
reasonably secure to the adult chair backrest so that the booster seat 
does not fall off the adult chair.
    Section 6.8 of ASTM F2640-18 addresses the maximum booster seat 
dimensions. The previous version, ASTM F2640-17[epsiv]\1\, also had a 
section addressing maximum dimensions, but it did not include 
requirements for the new, over-the-backrest-style booster seats. The 
latest version incorporates the previous requirements, but it also 
includes the requirements specific to this new style of booster seat.
b. Clarification of the Installation Position for Measuring a Booster 
Seat on an Adult Chair
    Section 7.10.1.1 of ASTM F2640-18 explains how to measure the 
maximum booster seat dimension for both traditional and over-the-
backrest style booster seats and includes a diagram of a test fixture 
to be used for over-the-backrest seats and a diagram of their proper 
installation. This test protocol was added to provide clarity and 
ensure that testing labs are performing the tests consistently.
c. New Warning Statement in Instructional Literature To Address Booster 
Seats That Do Not Have a Recline Position
    Section 9 (Instructional Literature) of F2640-18 contains a new 
requirement, Section 9.5, stating that if the booster seat has no 
recline feature, the instructions shall contain a statement addressing 
that the product is only for children capable of sitting upright 
unassisted.

D. International Standards for Booster Seats

    The Commission is aware of one international voluntary standard 
pertaining to booster seats, BS EN16120 Child Use and Care Articles--
Chair Mounted Seat. CPSC staff compared the performance requirements of 
ASTM F2640-18 to the performance

[[Page 30843]]

requirements of BS EN16120, which is intended for a similar product 
category, and identified several differences. Primarily, the scope of 
ASTM F2640-18 includes products intended for children up to 5 years of 
age, while EN 16120 is intended for products up to an age of 36 months, 
or a maximum weight of 15 kg (33 lbs.).
    Staff found that some individual requirements in the BS EN16120 
standard are more stringent than ASTM F2640-18. For example, BS EN16120 
includes requirements for head entrapment, lateral protection, surface 
chemicals, cords/ribbons, material shrinkage, packaging film, and 
monofilament threads. Staff did not identify any hazard patterns in 
CPSC's incident data that such provisions could address. Conversely, 
some individual requirements in ASTM F2640-18 are more stringent than 
those found in EN 16120. For example, ASTM F2640-18 includes 
requirements for tray performance and toy accessories. Currently, CPSC 
is not aware of any technically feasible method to test for the most 
prevalent and dangerous hazard pattern, falls resulting from tipping 
over in an adult chair. However, CPSC staff will continue to monitor 
hazard patterns and recommend future changes to the Commission, if 
necessary.

V. Response to Comments

    CPSC received eight comments on the NPR. Four commenters generally 
supported the NPR. Two commenters requested that CPSC wait to finalize 
the rule to include the next version of the voluntary standard, which 
would include two open ASTM ballot items, including a new booster seat 
design that attaches to an adult chair by hooking over the top back of 
the chair. Two commenters stated that booster seats manufactured for 
food-service establishments should be exempt from the mandatory 
standard, or be subject to a different standard. Below we summarize and 
respond to each significant issue raised by the commenters.
    Comment 1: Two commenters stated that the Commission should not 
issue a final rule until ASTM approves the next version of ASTM F2640. 
The commenters stated that the 2018 version would clarify the intent of 
the maximum booster seat dimension test and would address the new hook 
on booster seat design.
    Response 1: The Commission agrees with these commenters. The final 
rule incorporates by reference the latest version of the voluntary 
standard, ASTM F2640-18.
    Comment 2: Two manufacturer commenters contended that food-service 
booster seats should not be covered under ASTM F2640, with one 
commenter proposing that a separate commercial standard be developed. 
These commenters stated that food-service booster seats have simple 
designs intended solely to be positioned easily alongside a dining 
table, and raised to a height for a child to eat. Commenters noted 
several elements that make food-service booster seats different from 
home-use booster seats, including: (1) Less-confined designs to 
accommodate bulky outerwear; (2) generally smaller size; (3) tray-less; 
(4) not adjustable (no swiveling or reclining); and (5) typically use 
attachment methods like anti-skid pads or raised rubber feet that can 
accommodate restaurant seating, such as booths and benches, which belts 
and straps cannot.
    One manufacturer-commenter noted that the level of supervision over 
children in restaurants is greater than in homes, where children may be 
left unattended while eating. The commenter stated that this makes 
food-service booster seat designs, which are completely appropriate for 
restaurant use, potentially risky in home settings. Rather than 
addressing this under the current regulation, however, the commenter 
suggested a separate regulation for food-service booster seats that 
focuses on elements that ensure proper use, such as more stringent 
warnings and instructional literature (in particular not using food-
service booster seats outside of commercial settings, and not leaving 
children unsupervised during use), as well as educating end users and 
wait staff.
    Consumer advocate-commenters agreed with the NPR that food-service 
booster seats should be included under the mandatory standard because 
these products are available for sale to consumers and consumers use 
the products in restaurants, and these products should provide the same 
measure of safety.
    Response 2: The Commission recognized in the NPR that food-service 
booster seats vary in design and where they will be used, and that the 
attachment requirement in ASTM F2640 may require a design change for 
some food-service booster seats. Accordingly, the NPR invited 
commenters to provide information on the effects of making ASTM F2640-
17[epsiv]\1\'s attachment requirements mandatory on booster seats that 
currently use grip feet/friction bottoms to secure the booster to the 
surface upon which it sits. Additionally, the NPR solicited comments 
regarding the capability of suction cups to comply with performance 
requirements.
    Although the Commission agrees that some differences exist between 
food-service booster seats and booster seats intended for home-use, the 
commenters did not provide sufficient, specific information to support 
the assertion that food-service booster seats should not be covered 
under ASTM F2640; nor did they provide cost estimates for varying 
designs, other than generally stating that the process of compliance 
would be costly and time intensive. Accordingly, despite CPSC staff's 
interviews with affected parties, and after careful review of the 
comments, the Commission has not identified any inherent differences 
between the two products that would prevent food-service booster seats 
from meeting the mandatory standard and remaining fundamentally the 
same product. For example, although no food-service booster seats have 
trays, trays are not required to meet the booster seat final rule. If a 
booster seat does not have a tray, the requirements, tests, warnings, 
and instructions related to trays are not required. As another example, 
although it is true that anti-skid pads and raised rubber feet would 
not be considered attachment methods under the mandatory standard, they 
may still be used in addition to an attachment method like a belt, 
strap, or suction cup. Food-service booster seats can likely meet the 
new standard by adding a belt, for example, while retaining the anti-
slip mechanism they were using already.
    Section 6.5 of ASTM F2640 (2017[epsiv]\1\ and 2018 versions) 
requires a mechanism of attaching a booster seat to an adult chair, but 
it does not require the attachment mechanism to be a strap. Although a 
strap attachment would not work on a bench or booth, non-strap 
attachment methods, such as suction cups, could be used to secure a 
booster to a bench. Additionally, ASTM F2640 does not state any 
specific requirements for booster seats used on a booth or bench-type 
seating. Under the standard, booster seats are tested on an adult 
chair. The standard requires the attachment method to withstand force 
requirements. Although ``grip feet'' or ``friction bottoms'' are not a 
sufficient means of fastening a booster seat to an adult chair, some 
suction cups can be sufficient to withstand the force required in the 
standard.
    Based on the foregoing, the Commission rejects the assertion that 
food-service booster seats should solely rely on warnings to prevent 
falls in food-service booster seats. In a food-service environment, 
booster seats are used on adult chairs and bench-style

[[Page 30844]]

seating. Adhering to the mandatory standard for booster seats will 
ensure that food-service booster seats remain attached to adult chairs 
under the testing protocol, but not impede using grip feet on bench 
seating, if that is how manufacturers choose to address this issue. 
Additionally, nothing in the final rule would prevent food-service 
booster seat suppliers from providing additional warnings and 
instructions, if they believe such information will improve the safety 
their products.
    Section 104 of the CPSIA requires the Commission to promulgate a 
booster seat standard that is either ``substantially the same as'' the 
voluntary standard or ``more stringent than'' the voluntary standard if 
the more stringent requirements would further reduce the risk of injury 
associated with the product. Accordingly, CPSC's mandatory standard 
could only provide requirements for food-service booster seats that 
differ from the ASTM standard, if those different requirements 
strengthen the standard and further reduce the risk of injury. The 
commenters have not provided any safety rationale for excluding food-
service booster seats from the final rule. None of the suggestions 
presented by commenters would result in a standard that is ``more 
stringent than'' the voluntary standard. Therefore, the Commission is 
not modifying the booster seat requirements for food-service booster 
seats as part of the mandatory standard. However, as explained below, 
in response to Comment 6, the final rule provides additional time to 
comply with the new standard.
    Comment 3: One commenter stated that to comply with the standard, 
booster seats using suction as a means of attachment should be required 
to pass the attachment test in ASTM F2640-17[epsiv]\1\.
    Response 3: The Commission agrees that regardless of the means of 
attachment, all booster seats must meet the requirements in section 6.5 
of the current voluntary standard, ASTM F2640-18. These requirements 
include: Not allowing the booster seat to fall off the adult chair and 
break, and remaining functional after applying a 45-pound force 
horizontally to the center of the front of the booster seat five times. 
The requirements do not prescribe how the seat should be attached to 
the adult chair.
    Comment 4: One commenter questioned the applicability of placing 
warning labels on commercial booster seats because of size constraints 
on restaurant style-booster seats. The commenter indicated that the 
distance from the seat surface to the top of the side walls of the seat 
range from 3 inches to 5 inches, which restricts the space for 
labeling, and requests conspicuous labeling to include the seat 
surface.
    Response 4: The most recent version of the voluntary standard 
applicable to booster seats, ASTM F2640-18, requires the warning label 
to be conspicuous. A ``conspicuous label'' is defined in the standard 
as a ``label which is visible, when the product is in the 
manufacturer's recommended use position, to a person standing at the 
sides or front of the booster seat'' (ASTM F2640-18, section 3.1.1). 
Accordingly, the definition of ``conspicuous'' in the standard does not 
preclude use of the seat surface for the warning label placement, 
because the seat surface is visible to a person standing at the sides 
or front of the booster seat.
    Additionally, to address comments that a side wall height range of 
3 inches to 5 inches would restrict warning placement, staff generated 
mock warning labels that meet the ASTM F2640-18 requirement for signal 
word and font size in section 8.4.5. Tab B of Staff's Final Rule 
Briefing Package provides pictures of these mock warning labels. 
Staff's mock-ups show that the label can be placed on products with 
limited side wall space. Accordingly, manufacturers have the 
flexibility to place the warning label on seat surface or on the seat 
vertical wall.
    Comment 5: One commenter urged CPSC to work with manufacturers to 
use design and visual cues, such as pictograms, to ensure warnings are 
conveyed effectively to those with limited or no English literacy.
    Response 5: The Commission acknowledges that well-designed 
graphics, such as pictograms, can be useful for consumers with limited 
or no English literacy. However, the design of effective graphics can 
be difficult. Some seemingly obvious graphics are poorly understood and 
can give rise to interpretations that are the opposite of the intended 
meaning (so-called ``critical confusions''). To avoid confusion, a 
warning pictogram should be developed with an empirical study and 
should also be well-tested on the target audience. Thus far, pictograms 
have not been developed for booster-seat warning labels. In the future, 
if CPSC staff advises that graphic symbols are needed to reduce the 
risk of injury associated with these products, the Commission can 
consider updating the mandatory standard to include pictograms.
    Comment 6: The Commission received four comments on CPSC's proposed 
12-month effective date for the booster seats mandatory standard. One 
comment, submitted by three consumer advocacy groups, supported a 6-
month effective date (which they seem to believe mistakenly was the 
Commission's proposal). Two commenters, a juvenile product 
manufacturers' association and a private citizen, supported the 
proposed 12-month effective date, although the private citizen said 
that they would also support an even longer effective date to reduce 
the economic impact on small firms. A fourth commenter, a small 
manufacturer of food-service booster seats, suggested a 2-year 
effective date to allow additional time for product development. The 
commenter stated: ``compliance may require the costly and time 
intensive process of developing and building new tooling to comply with 
the Standard.''
    In a follow-up call with Commission staff (a phone log is in 
regulations.gov), the fourth commenter elaborated on the request for a 
2-year effective date, stating that for their booster seats to come 
into compliance with the revised ASTM standard, they will need to 
design and test new plastic molds. Creating a new mold includes 
researching and developing a new design, initial tool-building to 
implement the design, and then testing the resulting product. The 
commenter stated that the entire process takes longer for firms like 
theirs because their mold-maker is located overseas. Consequently, if 
changes to the mold are required after testing the new product, the 
turnaround time is longer than if all the work were conducted in the 
United States. According to the commenter, if the design process goes 
perfectly, with no required changes, then their booster seats could be 
redesigned in time to meet the 12-month effective date. The commenter 
stated that the request for a 2-year effective date was based on the 
design process for plastic molds and the potential need to create and 
test several iterative designs.
    Response 6: The Commission recognizes that longer effective dates 
minimize the impact on affected firms. The initial regulatory 
flexibility analysis (IRFA) found that a significant economic impact 
could not be ruled out for 69 percent of the small firms operating in 
the U.S. market. Staff advised that many of those firms might not be 
aware of the ASTM voluntary standard or the CPSC booster seats 
rulemaking, particularly food-service booster seat suppliers, which 
make up one-third of the small suppliers for

[[Page 30845]]

which a significant impact could not be ruled out. The information 
supplied by the fourth commenter on the time and cost involved in 
designing and producing new plastic molds is consistent with 
information supplied by CPSC engineers, as is the longer time frame 
required for firms conducting some of their redesign overseas. Staff 
engineers have also indicated that foam products would require new 
molds as well, which likely require similar cost and time investments.
    Based on this information, the Commission concludes that a 12-month 
effective date likely represents a ``best-case'' scenario for many 
affected firms, and that 2 years likely represents a ``worst-case'' 
scenario for firms required to come into compliance. Firms designing 
and/or testing their molds in the United States should be able to meet 
shorter timelines, both in ``best-case'' and ``worst-case'' scenarios. 
After considering the information provided by commenters, the 
Commission is providing an 18-month effective date for all firms to 
come into compliance with the final rule. An 18-month effective date 
balances the need for improved consumer safety, with reducing the 
impact of the final rule on small firms.
    Although some firms using molds may require iterative designs to 
meet the standard, the 2-year time estimate for product redesign using 
molds applies in cases where a mold must be modified several times, and 
the mold-redesign work is conducted overseas. Not all firms use molds, 
not all firms have molds made overseas, and not all firms will 
encounter sufficient difficulty with their molds to require a full 2 
years to make their iterative changes. Additionally, not all products 
will require a full redesign. Some products already meet the ASTM 
voluntary standard and the anticipated product modifications (straps 
and/or more secure means of attachment) in those cases are not complex 
and should not fall within the ``worst-case'' scenario of a 2-year 
design process.
    Moreover, providing additional time for firms to come into 
compliance reduces burden by allowing firms the time: (1) To spread out 
design and testing costs over a longer period; (2) to come into 
compliance if they are currently unaware of the voluntary standard or 
the rulemaking; and (3) to redesign a plastic or foam product to 
accommodate the design, tooling, and testing adjustments that may be 
required during the product redesign process.

VI. Mandatory Standard for Booster Seats

    As discussed in the previous section, the Commission concludes that 
ASTM F2640-18 adequately addresses the hazards associated with booster 
seats. Thus, the final rule incorporates by reference ASTM F2640-18, 
without modification, as the mandatory safety standard for booster 
seats.

VII. Amendment to 16 CFR Part 1112 to Include NOR for Booster Seats 
Standard

    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. 15 U.S.C. 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. 15 U.S.C. 2063(a)(3). 
The Safety Standard for Booster Seats, to be codified at 16 CFR part 
1237, is 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), 
which is codified at 16 CFR part 1112 (referred to here as part 1112). 
Part 1112 became effective on June 10, 2013 and establishes 
requirements for accreditation of third party conformity assessment 
bodies (or laboratories) to test for conformance with a children's 
product safety rule, in accordance with section 14(a)(2) of the CPSA. 
Part 1112 also codifies a list of all of the NORs that the CPSC had 
published at the time part 1112 was issued. All NORs issued after the 
Commission published part 1112, such as the safety standard for booster 
seats, require the Commission to amend part 1112. Accordingly, the 
Commission is now amending part 1112 to include the safety standard for 
booster seats in the list of other children's product safety rules for 
which the CPSC has issued NORs.
    Laboratories applying for acceptance as a CPSC-accepted third party 
conformity assessment body to test to the new standard for booster 
seats are 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 1237, Safety 
Standard for Booster Seats, included in its scope of accreditation of 
CPSC safety rules listed for the laboratory on the CPSC website at: 
www.cpsc.gov/labsearch.

VIII. Incorporation by Reference

    Section 1237.2 of the final rule provides that booster seats must 
comply with applicable sections of ASTM F2640-18. The OFR has 
regulations concerning incorporation by reference. 1 CFR part 51. These 
regulations require that, for a final rule, agencies must discuss in 
the preamble to the rule the way in which materials that the agency 
incorporates by reference are reasonably available to interested 
persons, and how interested parties can obtain the materials. 
Additionally, the preamble to the rule must summarize the material. 1 
CFR 51.5(b).
    In accordance with the OFR's requirements, the discussion in 
section IV of this preamble summarizes the required provisions of ASTM 
F2640-18. Interested persons may purchase a copy of ASTM F2640-18 from 
ASTM, either through ASTM's website, or by mail at the address provided 
in the rule. A copy of the standard may also be inspected at the CPSC's 
Office of the Secretary, U.S. Consumer Product Safety Commission. Note 
that the Commission and ASTM arranged for commenters to have ``read-
only'' access to ASTM F2640-17[epsiv]\1\ during the NPR's comment 
period.

IX. 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). Typically, the Commission provides a 6-
month effective date for final rules issued for durable infant or 
toddler products under section 104 of the CPSIA. However, in the NPR, 
the Commission proposed that the booster seat rule be effective 12 
months after publication of the final rule in the Federal Register, to 
allow booster seat manufacturers additional time to bring their 
products into compliance.
    CPSC received several comments on the effective date of the final 
rule, which are summarized in section V of this preamble, comment 6. As 
explained there, the remolding process for plastic and foam booster 
seats could take in ``best-case scenarios'' 12 months, but in

[[Page 30846]]

``worst-case scenarios'' the process could take up to 2 years. 
Recognizing that worst-case scenarios are likely to be rare, the 
Commission is providing an 18-month effective date for the final rule. 
Moreover, as explained in the next section of the preamble, the 
additional time reduces the impact of the rule on small businesses.

X. Regulatory Flexibility Act \9\
---------------------------------------------------------------------------

    \9\ Tab D of Staff's Final Rule Briefing Package contains the 
complete Final Regulatory Flexibility Analysis for this final rule.
---------------------------------------------------------------------------

    The Regulatory Flexibility Act (RFA), 5 U.S.C. 601-612, requires 
that agencies review a proposed rule and a final rule for the rule's 
potential economic impact on small entities, including small 
businesses. Section 604 of the RFA generally requires that agencies 
prepare a final regulatory flexibility analysis (FRFA) when 
promulgating final rules, unless the head of the agency certifies that 
the rule will not have a significant economic impact on a substantial 
number of small entities. For booster seats, staff cannot rule out a 
significant economic impact for 19 of the 29 (66 percent) known small 
domestic suppliers of booster seats to the U.S. market. Accordingly, 
staff prepared a FRFA that is available at Tab D of the Staff's Final 
Rule Briefing Package. We provide a summary of the FRFA below.
    The Commission is aware of 29 small firms, including 19 domestic 
manufacturers, nine domestic importers, and one firm of unknown type, 
currently marketing booster seats in the United States. The Commission 
concludes that it is unlikely that there would be a significant 
economic impact on the eight small manufacturers and two small 
importers of booster seats that comply with the current voluntary 
standard for Juvenile Products Manufacturer's Association-(JPMA) 
testing purposes, ASTM F2640-17[epsiv]\1\.\10\ However, the Commission 
cannot rule out a significant economic impact for 19 of the suppliers 
of noncompliant booster seats (11 manufacturers, seven importers, and 
one unknown type).
---------------------------------------------------------------------------

    \10\ The Juvenile Products Manufacturers Association (JPMA) has 
certification programs for several durable infant products with 
voluntary ASTM standards. Typically, JPMA's certification program 
has a 6-month delay between the publication of a new ASTM voluntary 
standard and its adoption for compliance testing under their 
program. Published in March 2017, ASTM F2640-17[epsiv]\1\ went into 
effect for JPMA-testing purposes in September 2017.
---------------------------------------------------------------------------

A. The Product

    Section II.A of this preamble defines ``booster seats'' and 
discussed booster seat combination products. The final rule would cover 
these products when they are in their booster seat configuration. Some 
suppliers produce booster seats intended predominately for restaurant 
use. As discussed in sections II.A and V (comment 2), the Commission 
will include food-service booster seats in the final rule with the same 
requirements as home-use booster seats. The prices for food-service and 
home-use booster seats are similar, averaging $44 to $60. Not 
surprisingly, combination high chair/booster seat products tend to be 
more expensive, ranging in price from $50 to $250.

B. Final Rule Requirements and Third Party Testing

    All booster seats manufactured after the final rule's effective 
date must meet the requirements of the final rule (ASTM F2640-18 with 
no modification). They will also need to be third party tested, as 
described below.
    Under section 14 of the CPSA, once the new booster seat 
requirements become effective as a consumer product safety standard, 
all suppliers will be subject to the third party testing and 
certification requirements under the CPSA and the Testing and Labeling 
Pertaining to Product Certification rule (16 CFR part 1107) (1107 
rule), which require manufacturers and importers to certify that their 
products comply with the applicable children's product safety 
standards, based on third party testing, and subject their products to 
third party testing periodically. Third party testing costs are in 
addition to the costs of modifying the booster seats to meet the 
standard. For booster seats, the third party testing costs are expected 
to be $500 to $1,000 per sample tested, with the higher cost being more 
applicable to the smallest suppliers.\11\ As the component part testing 
rule allows (16 CFR part 1109), importers may rely upon third party 
tests obtained by their suppliers, which could reduce the impact on 
importers. The incremental costs would also be lower for suppliers of 
compliant booster seats if they are already obtaining third party tests 
to assure conformance with the voluntary standard.
---------------------------------------------------------------------------

    \11\ These cost estimates are for testing compliance with the 
physical or mechanical requirements in the standard only. 
Manufacturers and importers of booster seats are already subject to 
third party testing requirements with respect to lead content.
---------------------------------------------------------------------------

C. IRFA Issues Raised in the Public Comments

    The IRFA requested public feedback on three questions:
    1. What actions might firms take to bring their booster seats into 
compliance with the proposed rule? What costs might be associated with 
those actions?
    2. What are the differences between food-service and home-use 
booster seats and their typical use environments (restaurants and 
homes)? How might the safety risks vary between the two use 
environments? Are there any alternative requirements that might address 
these risk variations and make booster seats safer in both use 
environments?
    3. What is the appropriate effective date for the proposed rule?
    CPSC did not receive public comment in response to question one. 
CPSC did receive comments on questions 2 and 3. Comment summaries and 
the Commission's responses appear in section V of this preamble.

D. The Market for Booster Seats

    The market for booster seats was outlined in section II.B. Under 
U.S. Small Business Administration (SBA) guidelines, a manufacturer of 
booster seats is considered small if it has 500 or fewer employees; and 
importers are considered small if they have 100 or fewer employees. 
CPSC limited its regulatory flexibility analysis to domestic firms 
because SBA guidelines and definitions pertain to U.S.-based entities. 
Based on these guidelines, 29 of 44 domestic firms are small--19 
domestic manufacturers, 9 domestic importers, and 1 domestic firm whose 
supply source could not be categorized. Additional small domestic 
booster seat suppliers may be operating in the U.S. market, possibly 
including some of the firms operating online storefronts. As discussed 
in the FRFA, staff expects impacts of the final rule to be small for 
online suppliers that staff could not readily identify as domestic; 
therefore, they are not included in the analysis.

E. Impact on Small Businesses

1. Small Manufacturers
a. Small Manufacturers With Compliant Booster Seats
    Of the 19 small manufacturers, eight produce booster seats that 
comply with the ASTM voluntary standard currently in effect for testing 
purposes (ASTM F2640-17[epsiv]\1\).12 13 ASTM F2640-

[[Page 30847]]

18, the version of the voluntary standard upon which the final rule is 
based, for JPMA certification testing purposes, will be in effect in 
November 2018. The new version of the standard (ASTM F2640-18) 
addresses booster seats that hang from the back of the adult chair and 
ensures that the maximum booster seat dimensions test is performed 
while in the manufacturer's recommended installation configuration. In 
general, the Commission expects that small manufacturers whose booster 
seats already comply with the voluntary standard currently in effect 
for testing purposes will remain compliant with the voluntary standard 
as it evolves, because they follow, and in five cases, actively 
participate in, the development of the ASTM voluntary standard. 
Therefore, for these small manufacturers, compliance with the voluntary 
standard is part of an established business practice. As such, the 
Commission does not expect the final rule to have a significant impact 
on any of the eight small manufacturers with booster seats expected to 
meet the requirements of the voluntary standard. Additionally, because 
these firms already test to the ASTM standard, the Commission expects 
that any third party testing costs will be minimal.
---------------------------------------------------------------------------

    \12\ The Juvenile Products Manufacturers Association (JPMA) has 
certification programs for several durable infant products with 
voluntary ASTM standards. Typically, JPMA's certification program 
has a 6-month delay between publication of a new ASTM voluntary 
standard and its adoption for compliance testing under their 
program. Published in March 2017, ASTM F2640-17[epsiv]\1\ went into 
effect, for JPMA testing purposes, in September 2017. ASTM F2640-18 
will be in effect for JPMA testing before the mandatory booster seat 
standard goes into effect. Therefore, compliant firms are expected 
to remain compliant.
    \13\ In this case, four of the firms with compliant booster 
seats are part of JPMA's certification program, while the other four 
firms claim compliance based on testing performed to the ASTM 
standard performed outside of the JPMA certification program.
---------------------------------------------------------------------------

b. Small Manufacturers With Noncompliant Booster Seats
    Eleven small manufacturers produce booster seats that do not comply 
with the voluntary standard, five of which produce food-service booster 
seats, and six that produce booster seats for home use. CPSC staff 
cannot determine the extent of the changes and the cost of the changes 
required for the booster seats of these 11 firms to come into 
compliance with the final rule. For all 11 small manufacturing firms 
producing booster seats that do not meet the voluntary standard, the 
cost of redesigning the products could exceed 1 percent of the firm's 
revenue. Overall, staff cannot rule out a significant economic impact 
on any of the 11 small manufacturers producing noncompliant booster 
seats. Additionally, of 11 firms, staff estimates that the impact of 
third party testing could result in significant costs for six firms.
2. Small Importers
a. Small Importers With Compliant Booster Seats
    Staff identified two booster seat importers currently in compliance 
with the voluntary standard. Staff expects that small importers, like 
manufacturers whose booster seats already comply with the voluntary 
standard currently in effect for testing purposes, will remain 
compliant with the voluntary standard as it evolves, because these 
small importers follow the standard development process. Therefore, 
these firms are likely already to be in compliance, and the final rule 
should not have a significant impact on either of the small importers 
with compliant booster seats. Any third party testing costs for 
importers of compliant booster seats would be limited to the 
incremental costs associated with third party testing beyond their 
current testing regime. Staff does not expect significant impacts to 
result from incremental testing costs.
b. Small Importers With Noncompliant Booster Seats
    Staff does not have sufficient information to rule out a 
significant impact from the final rule for any of the seven importers 
with noncompliant booster seats. The economic impact on importers 
depends on the extent of the changes required to come into compliance 
and the responses of their supplying firms, which staff cannot 
generally determine for noncompliant importers. Third party testing and 
certification to the final rule could impose significant costs for 
three of the seven firms with booster seats believed not to comply with 
the ASTM standard. However, third party testing costs are unlikely to 
be greater than 1 percent of the firms' gross revenues for the 
remaining four firms.
3. Small Unknown Firm Type With Noncompliant Booster Seats
    For one firm identified as a supplier of noncompliant booster seats 
in the U.S. market, staff is unable to determine whether the firm is a 
manufacturer or an importer, and thus, staff does not have sufficient 
information to rule out the possibility that modifications required to 
come into compliance with the rule could result in a significant impact 
(i.e., greater than 1 percent of revenues) on this small noncompliant 
firm.
4. Summary of Impacts
    The Commission is aware of 29 small firms, including 19 domestic 
manufacturers, nine domestic importers, and one firm of unknown type, 
currently marketing booster seats in the United States. Based on the 
foregoing, the Commission concludes that it is unlikely that there 
would be a significant economic impact on the eight small manufacturers 
and two small importers of compliant booster seats. However, the 
Commission cannot rule out a significant economic impact for any of the 
19 suppliers of noncompliant booster seats (11 manufacturers, seven 
importers, and one unknown type).

F. Efforts To Minimize the Impact on Small Entities

    The NPR proposed an effective date 12 months after the publication 
of the final rule in the Federal Register. CPSC received two comments 
requesting a later effective date, including one from a food-service 
booster seat manufacturer who requested a 2-year effective date, 
stating they needed more time to develop and build the new tooling that 
would be required to meet the mandatory standard. As discussed in 
sections V (comment 6) and IX of this preamble, the Commission agrees 
that a later effective date would reduce the economic impact of the 
final rule on firms. Firms would have more time to adjust their designs 
and tooling and thus, less likely to experience a lapse in production/
importation, which could result if they were unable to produce or 
locate suppliers within the required timeframe. Additionally, firms 
could spread these costs of compliance over a longer time period, 
thereby reducing their annual costs, as well as the present value of 
their total costs. To help reduce the impact on all small firms, as 
well as specifically reduce the potential burden on firms using molds 
that may require iterative designs to meet the standard, particularly 
where some work is conducted overseas, the final rule provides an 18-
month effective date.

G. Small Business Impacts of the Accreditation Requirements for Testing 
Laboratories

    In accordance with section 14 of the CPSA, all children's products 
that are subject to a children's product safety rule must be tested by 
a CPSC-accepted third party conformity assessment body (i.e., testing 
laboratory) for compliance with applicable children's product safety 
rules. Testing laboratories that want to conduct this testing must meet 
the notice of requirements (NOR) pertaining to third party conformity 
testing. NORs have been codified for existing rules at 16 CFR part 1112 
(1112 rule). Consequently, the Commission will amend the 1112 rule to 
establish the NOR for testing laboratories that want accreditation to 
test for compliance with the booster seats final rule. This section 
assesses the impact of the amendment on small laboratories.
    The Commission certified in the NPR that the proposed NOR would not 
have

[[Page 30848]]

a significant impact on a substantial number of small laboratories 
because:
     No requirements were imposed on laboratories that did not 
intend to provide third party testing services;
     Only firms that anticipated receiving sufficient revenue 
from the mandated testing to justify accepting the requirements would 
provide testing services; and
     Most of these laboratories will already be accredited to 
test for conformance to other juvenile product standards, and the only 
costs to them would be the cost of adding the children's booster seats 
standard to their scope of accreditation.
    No substantive changes in these facts have occurred since the NPR 
was published, and CPSC did not receive any comments regarding the NOR. 
Therefore, for the final rule, the Commission continues to certify that 
amending part 1112 to include the NOR for the booster seats final rule 
will not have a significant impact on a substantial number of small 
laboratories.

XI. 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, they 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 final rule for booster seats falls 
within the categorical exclusion.

XII. Paperwork Reduction Act

    The final rule for booster seats 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. 3501-3520). The preamble to the proposed rule (82 FR 
22932-33) discussed the information collection burden of the proposed 
rule and specifically requested comments on the accuracy of our 
estimates. OMB has not yet assigned a control number for this 
information collection. We did not receive any comment regarding the 
information collection burden of the proposal. However, the final rule 
makes modifications regarding the information collection burden because 
the number of estimated manufacturers subject to the information 
collection burden is now estimated at 46 manufacturers, rather than the 
49 manufacturers initially estimated in the proposed rule, and the 
number of models tested has increased from two models in the NPR, to 
three models for the final rule.
    Accordingly, the estimated burden of this collection of information 
is modified 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
--------------------------------------------------------------------------------------------------------------------------------------------------------
1237...............................................................              46                3              138                1              138
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Our estimate is based on the following:
    Section 8.1 of ASTM F640-18 requires that all booster seats and 
their retail packaging be permanently marked or labeled as follows: The 
manufacturer, distributor, or seller name, place of business (city, 
state, mailing address, including zip code), and telephone number; and 
a code mark or other means that identifies the date (month and year as 
a minimum) of manufacture.
    CPSC is aware of 46 firms that supply booster seats in the U.S. 
market. For PRA purposes, we assume that all 46 firms use labels on 
their products and on their packaging already. All firms will need to 
make some modifications to their existing labels. We estimate that the 
time required to make these modifications is about 1 hour per model. 
Each of the 46 firms supplies, on average, test slightly more than 2.5 
different models of booster seats per year. Accordingly, for this 
estimate we round the number of models to three. Therefore, we estimate 
the burden hours associated with labels to be 138 hours annually (1 
hour x 46 firms x 3 models per firm = 138 hours annually).
    We estimate the hourly compensation for the time required to create 
and update labels is $32.47 (U.S. Bureau of Labor Statistics, 
``Employer Costs for Employee Compensation,'' December 2017, Table 9, 
total compensation for all sales and office workers in goods-producing 
private industries: http://www.bls.gov/ncs/). Therefore, we estimate 
the annual cost to industry associated with the labeling requirements 
in the final rule to be approximately $4,481 ($32.47 per hour x 138 
hours = $4,480.86). This collection of information does not require 
operating, maintenance, or capital costs.
    Section 9.1 of ASTM F2640-18 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 
booster seats that generally require use instructions but lack such 
instructions. Therefore, we estimate that no burden hours are 
associated with section 9.1 of ASTM F2640-18, because any burden 
associated with supplying instructions with booster seats would be 
``usual and customary'' and not within the definition of ``burden'' 
under the OMB's regulations.
    In compliance with the Paperwork Reduction Act of 1995 (44 U.S.C. 
3507(d)), we have submitted the information collection requirements of 
this final rule to the OMB.

XIII. 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 requirement 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 applies to this final rule issued under section 104.

[[Page 30849]]

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 1237

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

    For the reasons discussed in the preamble, the Commission amends 16 
CFR parts 1112 and 1237 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)(47) 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) * * *
    (47) 16 CFR part 1237, Safety Standard for Booster Seats.
* * * * *

0
3. Add part 1237 to read as follows:

PART 1237--SAFETY STANDARD FOR BOOSTER SEATS

Sec.
1237.1 Scope.
1237.2 Requirements for booster seats.

    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.  1237.1   Scope.

    This part establishes a consumer product safety standard for 
booster seats.


Sec.  1237.2   Requirements for booster seats.

    Each booster seat must comply with all applicable provisions of 
ASTM F2640-18, Standard Consumer Safety Specification for Booster Seats 
(approved on April 1, 2018). 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. 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: www.archives.gov/federal-register/cfr/ibr-locations.html.

Alberta E. Mills,
Secretary, Consumer Product Safety Commission.
[FR Doc. 2018-14133 Filed 6-29-18; 8:45 am]
 BILLING CODE 6355-01-P



                                                                  Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations                                                30837

                                             where applicable, under 5 U.S.C 553(d),                 Upland, CA, Cable, RNAV (GPS) RWY 6,                   Astoria, OR, Astoria Rgnl, COPTER LOC
                                             good cause exists for making some                         Amdt 1B                                                RWY 26, Amdt 2
                                             SIAPs effective in less than 30 days.                   Rangely, CO, Rangely, RNAV (GPS) RWY 7,                Astoria, OR, Astoria Rgnl, COPTER VOR
                                                The FAA has determined that this                       Orig                                                   RWY 8, Orig
                                                                                                     Rangely, CO, Rangely, RNAV (GPS) RWY 25,               Astoria, OR, Astoria Rgnl, COPTER VOR/
                                             regulation only involves an established                   Orig                                                   DME OR GPS 066, Amdt 1, CANCELED
                                             body of technical regulations for which                 New Haven, CT, Tweed-New Haven, ILS OR                 Astoria, OR, Astoria Rgnl, ILS RWY 26, Amdt
                                             frequent and routine amendments are                       LOC RWY 2, Amdt 18                                     3B
                                             necessary to keep them operationally                    New Haven, CT, Tweed-New Haven, VOR                    Astoria, OR, Astoria Rgnl, RNAV (GPS) RWY
                                             current. It, therefore—(1) is not a                       RWY 2, Amdt 23, CANCELED                               8, Amdt 1
                                             ‘‘significant regulatory action’’ under                 Boca Raton, FL, Boca Raton, RNAV (GPS) Y               Astoria, OR, Astoria Rgnl, RNAV (GPS) RWY
                                             Executive Order 12866; (2) is not a                       RWY 23, Amdt 1B                                        26, Amdt 1
                                             ‘‘significant rule’’ under DOT                          Boca Raton, FL, Boca Raton, RNAV (RNP) Z               Astoria, OR, Astoria Rgnl, VOR RWY 8, Amdt
                                                                                                       RWY 23, Orig-B                                         12A
                                             Regulatory Policies and Procedures (44                  Boca Raton, FL, Boca Raton, VOR–A, Amdt                Meadville, PA, Port Meadville, LOC RWY 25,
                                             FR 11034; February 26, 1979) ; and (3)                    1B                                                     Amdt 6E
                                             does not warrant preparation of a                       Athens, GA, Athens/Ben Epps, RNAV (GPS)                Meadville, PA, Port Meadville, RNAV (GPS)
                                             regulatory evaluation as the anticipated                  RWY 9, Amdt 2                                          RWY 7, Amdt 1D
                                             impact is so minimal. For the same                      Atlanta, GA, Newnan Coweta County, ILS OR              Meadville, PA, Port Meadville, RNAV (GPS)
                                             reason, the FAA certifies that this                       LOC RWY 32, Orig-A                                     RWY 25, Amdt 1E
                                             amendment will not have a significant                   Donalsonville, GA, Donalsonville Muni,                 Meadville, PA, Port Meadville, VOR RWY 7,
                                             economic impact on a substantial                          RNAV (GPS) RWY 1, Amdt 1C                              Amdt 8B, CANCELED
                                                                                                     Donalsonville, GA, Donalsonville Muni,                 Brownwood, TX, Brownwood Rgnl, LOC
                                             number of small entities under the                                                                               RWY 17, Amdt 4B
                                                                                                       RNAV (GPS) RWY 19, Amdt 1B
                                             criteria of the Regulatory Flexibility Act.             Donalsonville, GA, Donalsonville Muni,                 Brownwood, TX, Brownwood Rgnl, RNAV
                                             List of Subjects in 14 CFR Part 97                        VOR–A, Amdt 3B                                         (GPS) RWY 17, Amdt 1A
                                                                                                     Savannah, GA, Savannah/Hilton Head Intl,               Brownwood, TX, Brownwood Rgnl, RNAV
                                                Air traffic control, Airports,                         RNAV (RNP) Y RWY 28, Amdt 2                            (GPS) RWY 35, Amdt 1A
                                             Incorporation by reference, Navigation                  Iowa City, IA, Iowa City Muni, RNAV (GPS)              Brownwood, TX, Brownwood Rgnl, VOR
                                             (air).                                                    RWY 25, Amdt 1                                         RWY 35, Amdt 1C
                                                                                                     Iowa City, IA, Iowa City Muni, RNAV (GPS)              San Antonio, TX, Boerne Stage Field, RNAV
                                               Issued in Washington, DC, on June 15,
                                                                                                       RWY 30, Amdt 1                                         (GPS) RWY 17, Amdt 1B
                                             2018.
                                                                                                     Iowa City, IA, Iowa City Muni, Takeoff                 San Antonio, TX, Boerne Stage Field, Takeoff
                                             John S. Duncan,                                           Minimums and Obstacle DP, Amdt 4                       Minimums and Obstacle DP, Orig-A
                                             Executive Director, Flight Standards Service.           Champaign/Urbana, IL, University Of                    Wharton, TX, Wharton Rgnl, NDB RWY 14,
                                                                                                       Illinois-Willard, ILS OR LOC RWY 32R,                  Orig-A
                                             Adoption of the Amendment                                                                                      Wharton, TX, Wharton Rgnl, NDB RWY 32,
                                                                                                       Amdt 13A
                                               Accordingly, pursuant to the                          Plymouth, IN, Plymouth Muni, RNAV (GPS)                  Orig-A
                                             authority delegated to me, Title 14,                      RWY 28, Orig-A                                       Wharton, TX, Wharton Rgnl, RNAV (GPS)
                                             Code of Federal Regulations, Part 97 (14                Plymouth, MA, Plymouth Muni, ILS OR LOC                  RWY 14, Orig-A
                                                                                                       RWY 6, Amdt 1F                                       Wharton, TX, Wharton Rgnl, RNAV (GPS)
                                             CFR part 97) is amended by                                                                                       RWY 32, Orig-A
                                             establishing, amending, suspending, or                  Plymouth, MA, Plymouth Muni, RNAV (GPS)
                                                                                                       RWY 6, Amdt 1D                                       Milwaukee, WI, Lawrence J Timmerman,
                                             removing Standard Instrument                            Plymouth, MA, Plymouth Muni, RNAV (GPS)                  VOR RWY 4L, Amdt 9C, CANCELED
                                             Approach Procedures and/or Takeoff                        RWY 15, Orig-A                                       Jackson, WY, Jackson Hole, ILS Z OR LOC Z
                                             Minimums and Obstacle Departure                         Plymouth, MA, Plymouth Muni, RNAV (GPS)                  RWY 19, Orig-B
                                             Procedures effective at 0901 UTC on the                   RWY 24, Orig-C                                         RESCINDED: On June 5, 2018 (83 FR
                                             dates specified, as follows:                            Plymouth, MA, Plymouth Muni, RNAV (GPS)                25909), the FAA published an Amendment
                                                                                                       RWY 33, Orig                                         in Docket No. 31195, Amdt No. 3801, to Part
                                             PART 97—STANDARD INSTRUMENT                             Hattiesburg, MS, Hattiesburg Bobby L Chain             97 of the Federal Aviation Regulations under
                                             APPROACH PROCEDURES                                       Muni, RNAV (GPS) Z RWY 13, Amdt 1B                   section 97.33. The following entry for
                                                                                                     Omaha, NE, Eppley Airfield, RNAV (RNP) Z               Oakland, CA, effective July 19, 2018, is
                                             ■ 1. The authority citation for part 97                   RWY 32R, Amdt 1A                                     hereby rescinded in its entirety:
                                             continues to read as follows:                           Manchester, NH, Manchester, ILS OR LOC                 Oakland, CA, Metropolitan Oakland Intl,
                                                                                                       RWY 6, Amdt 3                                          RNAV (RNP) Z RWY 12, Amdt 2
                                               Authority: 49 U.S.C. 106(f), 106(g), 40103,
                                                                                                     Manchester, NH, Manchester, ILS OR LOC
                                             40106, 40113, 40114, 40120, 44502, 44514,                                                                      [FR Doc. 2018–13934 Filed 6–29–18; 8:45 am]
                                                                                                       RWY 17, Amdt 3
                                             44701, 44719, 44721–44722.                                                                                     BILLING CODE 4910–13–P
                                                                                                     Manchester, NH, Manchester, ILS OR LOC
                                             ■ 2. Part 97 is amended to read as                        RWY 35, ILS RWY 35 SA CAT I, ILS RWY
                                             follows:                                                  35 CAT II, ILS RWY 35 CAT III, Amdt 3
                                                                                                     Olean, NY, Cattaraugus County-Olean, LOC               CONSUMER PRODUCT SAFETY
                                             Effective 19 July 2018                                    RWY 22, Amdt 7                                       COMMISSION
                                             Kokhanok, AK, Kokhanok, RNAV (GPS) RWY                  Olean, NY, Cattaraugus County-Olean, RNAV
                                               7, Amdt 1                                               (GPS) RWY 4, Amdt 2                                  16 CFR Parts 1112 and 1237
                                             Kokhanok, AK, Kokhanok, RNAV (GPS) RWY                  Olean, NY, Cattaraugus County-Olean, RNAV
                                               25, Amdt 1                                              (GPS) RWY 22, Amdt 2                                 [CPSC Docket No. 2017–0023]
                                             Kokhanok, AK, Kokhanok, Takeoff                         Watertown, NY, Watertown Intl, RNAV (GPS)
                                               Minimums and Obstacle DP, Amdt 1                        RWY 7, Amdt 3                                        Safety Standard for Booster Seats
                                             Fayette, AL, Richard Arthur Field, Takeoff              Watertown, NY, Watertown Intl, RNAV (GPS)
daltland on DSKBBV9HB2PROD with RULES




                                               Minimums and Obstacle DP, Amdt 2                        RWY 10, Amdt 1                                       AGENCY:  Consumer Product Safety
                                             Mountain View, CA, Moffett Federal Afld,                Toledo, OH, Toledo Executive, RNAV (GPS)               Commission.
                                               RNAV (GPS) RWY 14L, Orig                                RWY 4, Amdt 1                                        ACTION: Final rule.
                                             Mountain View, CA, Moffett Federal Afld,                Toledo, OH, Toledo Executive, RNAV (GPS)
                                               RNAV (GPS) RWY 14R, Orig                                RWY 32, Amdt 2                                       SUMMARY: Pursuant to the Consumer
                                             Mountain View, CA, Moffett Federal Afld,                Toledo, OH, Toledo Executive, VOR RWY 4,               Product Safety Improvement Act of
                                               RNAV (GPS) RWY 32L, Orig                                Amdt 9D, CANCELED                                    2008 (CPSIA), the U.S. Consumer


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00007   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                             30838                Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations

                                             Product Safety Commission (CPSC) is                     advocacy groups, consultants, and the                  for accreditation of third party
                                             issuing this final rule establishing a                  public to develop this rule, largely                   conformity assessment bodies (or testing
                                             safety standard for booster seats. The                  through the ASTM process. On May 19,                   laboratories) to test for conformity with
                                             Commission is also amending its                         2017, the Commission issued a notice of                a children’s product safety rule.
                                             regulations regarding third party                       proposed rulemaking (NPR) for booster                  Amending part 1112 adds an NOR for
                                             conformity assessment bodies to include                 seats.1 82 FR 22925. The NPR proposed                  the booster seat standard to the list of
                                             the safety standard for booster seats in                to incorporate by reference the                        children’s product safety rules.
                                             the list of notices of requirements                     voluntary standard, without
                                                                                                                                                            II. Product Information
                                             (NORs).                                                 modification, developed by ASTM
                                             DATES: This rule will become effective                  International, ASTM F2640–17ε1,                        A. Definition of ‘‘Booster Seat’’
                                             January 2, 2020. The incorporation by                   Standard Consumer Safety                                 ASTM F2640–18 defines a ‘‘booster
                                             reference of the publication listed in                  Specification for Booster Seats (ASTM                  seat’’ as:
                                             this rule is approved by the Director of                F2640–17ε1).
                                                                                                        In this document, the Commission is                 a juvenile chair, which is placed on an adult
                                             the Federal Register as January 2, 2020.                                                                       chair to elevate a child to standard dining
                                                                                                     issuing a final mandatory consumer
                                             FOR FURTHER INFORMATION CONTACT:                                                                               table height. The booster seat is made for the
                                                                                                     product safety standard for booster
                                             Keysha Walker, Lead Compliance                                                                                 purpose of containing a child, up to 5 years
                                                                                                     seats. Since the NPR published, ASTM                   of age, and normally for the purposes of
                                             Officer, U.S. Consumer Product Safety
                                                                                                     approved (April 1, 2018) and published                 feeding or eating. A booster seat may be
                                             Commission, 4330 East-West Highway,
                                                                                                     (April, 2018) the current version of the               height adjustable and include a reclined
                                             Bethesda, MD 20814; telephone: 301–
                                                                                                     voluntary standard for booster seats,                  position.
                                             504–6820; email: kwalker@cpsc.gov.
                                                                                                     ASTM F2640–18, Standard Consumer                          Booster seats may be constructed from
                                             SUPPLEMENTARY INFORMATION:                              Safety Specification for Booster Seats                 a wide variety of materials, including
                                             I. Background and Statutory Authority                   (ASTM F2640–18), with three changes                    wood, plastic, fabric, metal, and/or
                                                Section 104(b) of the CPSIA, part of                 from the previous version:                             foam. Most booster seats, notably those
                                                                                                        • New performance and testing
                                             the Danny Keysar Child Product Safety                                                                          intended for home use, have removable
                                                                                                     requirements for a new type of booster
                                             Notification Act, requires the                                                                                 trays, allowing a table to be used as an
                                                                                                     seat that hangs from the back of an adult
                                             Commission to: (1) Examine and assess                                                                          alternative eating surface. Some booster
                                                                                                     chair;
                                             the effectiveness of voluntary consumer                    • Clarification of the installation                 seats are intended to double as floor
                                             product safety standards for durable                    position for measuring a booster seat on               seats for toddlers, and others are high
                                             infant or toddler products, in                          an adult chair; and                                    chair/booster seat combination
                                             consultation with representatives of                       • New warning statement in the                      products. The ASTM standard covers
                                             consumer groups, juvenile product                       instructional literature to address                    combination products when the product
                                             manufacturers, and independent child                    booster seats that do not have a reclined              is in a booster seat configuration.
                                             product engineers and experts; and (2)                  position.                                                 The definition of ‘‘booster seat’’ in
                                             promulgate consumer product safety                      As set forth in section IV.C.2 of this                 ASTM F2640–18 is broad and includes
                                             standards for durable infant and toddler                preamble, the Commission finds that                    within the scope of the standard booster
                                             products. Standards issued under                        each of these changes enhances the                     seats that are designed specifically for
                                             section 104 of the CPSIA are to be                      safety of booster seats.2 Accordingly,                 use in restaurants. Several suppliers sell
                                             ‘‘substantially the same as’’ the                       after the Commission’s review and                      these ‘‘food-service’’ booster seats
                                             applicable voluntary standards or more                  consideration of the revised ASTM                      directly to restaurants or through
                                             stringent than the voluntary standard, if               standard and the comments on the NPR,                  restaurant supply companies.
                                             the Commission determines that more                     the final rule incorporates by reference,              Consumers also may purchase some of
                                             stringent requirements would further                    without modification, the most recent                  these products directly, for example,
                                             reduce the risk of injury associated with               voluntary standard for booster seats,                  through online third parties that act as
                                             the product.                                            ASTM F2640–18.                                         brokers between buyers and sellers.
                                                The term ‘‘durable infant or toddler                    Additionally, the final rule amends                 Consequently, consumers use food-
                                             product’’ is defined in section 104(f)(1)               the list of notices of requirements                    service booster seats in homes and in
                                             of the CPSIA as ‘‘a durable product                     (NORs) issued by the Commission in 16                  restaurant establishments open to the
                                             intended for use, or that may be                        CFR part 1112 to include the standard                  public. The Commission agrees with the
                                             reasonably expected to be used, by                      for booster seats. Under section 14 of the             scope of ASTM F2640–18, and is not
                                             children under the age of 5 years,’’ and                CPSA, the Commission promulgated 16                    excluding food-service booster seats
                                             the statute specifies 12 categories of                  CFR part 1112 to establish requirements                from the final rule.
                                             products that are included in the                                                                                 The final rule for booster seats does
                                             definition, including various types of                    1 Staff’s May 3, 2017 Briefing Package for the NPR   not cover children’s seats intended for
                                             children’s chairs. Section 104(f)(2)(C) of              (Staff’s NPR Briefing Package) is available at:        use in motor vehicles, which are also
                                             the CPSIA specifically identifies                       https://www.cpsc.gov/s3fs-public/Notice%20of           sometimes referred to as ‘‘booster seats.’’
                                                                                                     %20Proposed%20Rulemaking%20-%20Booster
                                             ‘‘booster chairs’’ as a durable infant or               %20Seats%20-%20May%203%202017.pdf?97                   B. Market Description
                                             toddler product. Additionally, the                      pmoM5UAGyQBBPFtTPyvFu_RjCZMAwL.
                                             Commission’s regulation requiring                         2 Tabs B and C of the June 20, 2018 Staff’s Draft       CPSC staff identified 44 domestic
                                             product registration cards defines                      Final Rule for Booster Seats Under the Danny           firms supplying booster seats to the U.S.
                                             ‘‘booster seats’’ as a durable infant or                Keysar Child Product Safety Notification Act           market. Thirty-four (34) domestic firms
                                                                                                     (Staff’s Final Rule Briefing Package) explain and
                                                                                                                                                            market their booster seats exclusively to
daltland on DSKBBV9HB2PROD with RULES




                                             toddler product subject to the                          assess the new warning statement and the
                                             registration card rule. 74 FR 68668 (Dec.               performance and testing requirements in the            consumers, while ten (10) domestic
                                             29, 2009); 16 CFR 1130.2(a)(3).                         standard. The Staff’s Final Rule Briefing Package is   firms sell booster seats exclusively to
                                                As required by section 104(b)(1)(A) of               available at https://www.cpsc.gov/s3fs-public/         restaurant or restaurant supply stores
                                                                                                     Final%20Rule%20-%20Safety%20Standard%20for
                                             the CPSIA, the Commission consulted                     %20Booster%20Seats%20-%20June%2020
                                                                                                                                                            (usually through regional distributors or
                                             with manufacturers, retailers, trade                    %202018.pdf?cCIgKaAyOt3nn.yeNTa5f8                     an internal portal). Sixteen of the 34
                                             organizations, laboratories, consumer                   rpH7DsJB0v.                                            domestic firms that sell exclusively to


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00008   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                                                  Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations                                          30839

                                             consumers are compliant with the                        incidents include 45 new booster seat-                 lacerations, due to falls or entrapment of
                                             current voluntary standard for booster                  related incidents reported since                       limbs/extremities.
                                             seats. Of the 10 domestic firms selling                 publication of the NPR (collected                        No injury occurred, or the report did
                                             food-service booster seats, none are                    between October 1, 2016 and October                    not mention an injury occurring, for the
                                             compliant with the ASTM voluntary                       31, 2017). None of the 45 newly                        remaining 758 incident reports (719
                                             standard. Of the 44 known domestic                      reported incidents is a fatality. All of the           incidents reported in the NPR and 39
                                             suppliers, 29 are domestic                              newly reported incidents fall within the               newly reported incidents). However,
                                             manufacturers (10 large and 19 small),                  same hazard patterns identified in the                 CPSC staff’s review of these incident
                                             14 are domestic importers (five large                   NPR. Retailers and manufacturers                       report descriptions indicates the
                                             and nine small), and one is a small                     reporting through the CPSC’s ‘‘Retailer                potential for a serious injury or even
                                             domestic firm whose supply source staff                 Reporting Program’’ account for 93                     death.
                                             could not determine.3                                   percent of the newly reported incidents                B. Hazard Pattern Identification
                                                Staff identified two foreign                         (42 out of 45 incidents). CPSC received
                                             manufacturers selling directly to the                   the remaining three incident reports                      CPSC considered all 912 reported
                                             United States. Other foreign booster                    from consumers using                                   incidents to identify the following
                                             seats are entering the U.S. market in a                 SaferProducts.gov. CPSC Field staff                    hazard patterns associated with booster
                                             variety of ways as well. Staff found that               conducted an In-Depth Investigation on                 seats:
                                             online storefronts and online retailers,                one of the newly reported incidents.                      1. Restraint/Attachment Problems
                                             acting as brokers between buyers and                                                                           (37%): 339 incidents (317 incidents
                                             sellers, are the source of a large number               1. Fatalities                                          reported in the NPR and 22 newly
                                             of booster seat products, particularly                     CPSC received reports of two fatalities             reported incidents) involved the
                                             from Asia and Europe. Products                          associated with the use of a booster seat.             mechanism for attaching a booster seat
                                             purchased through these websites are                    Both incidents occurred in 2013 and                    to an adult chair, or the restraint system
                                             sometimes shipped by the individual                     were described in the NPR:                             that contains the child within the
                                             sellers. Often, staff cannot determine                     D In one incident, a 22-month-old                   booster seat. Issues with the attachment
                                             whether an online seller is located in                  female, sitting on a booster seat attached             mechanism included anchor buckles/
                                             the United States, or overseas, or                      to an adult chair, pushed off from the                 clasps/straps breaking, tearing, fraying,
                                             whether the seller is a manufacturer,                   table and tipped the adult chair                       detaching or releasing. Restraint-system
                                             retailer, or importer, which makes it                   backwards into a glass panel of a china                problems included: buckles/prongs
                                             difficult for staff to categorize these                 cabinet behind her. The cause of death                 breaking, jamming, releasing too easily,
                                             companies for analysis. Staff found that                was listed as ‘‘exsanguination due to                  or separating from straps; straps tearing
                                             European booster seats are also entering                hemorrhage from incised wound.’’                       or fraying, pinching, or coming undone;
                                             the U.S. market through foreign retailers                  D In the other incident, a 4-year-old               and general inadequacy or
                                             who are willing to ship directly to the                 male fell from a booster seat to the floor;            ineffectiveness of restraints in
                                             United States. Booster seats available                  he seemed uninjured at the time, but                   containing the child in place. In 21
                                             online from foreign suppliers are less                  later that evening while riding his bike,              incident reports, staff could not
                                             likely to be compliant with the ASTM                    the child fell, became unresponsive, and               determine from the report if the buckle
                                             voluntary standard.                                     later died. The cause of death was                     or strap referred to in the report meant
                                                                                                     multiple blunt force trauma.                           the restraint or the attachment system.
                                             III. Incident Data                                                                                             In eight of the incident reports, both
                                                                                                     2. Nonfatalities
                                             A. CPSRMS Data                                                                                                 systems were reported to have failed.
                                                                                                        CPSC is aware of 152 booster seat                   Thirty-seven injuries (all reported in the
                                               The data discussed in this section                    nonfatal injury incidents occurring                    NPR) are included in this category, of
                                             come from CPSC’s Consumer Product                       between January 1, 2008 and October                    which seven were treated at a hospital
                                             Safety Risk Management System                           31, 2017 (146 incidents reported in the                ED.
                                             (CPSRMS), which collects data from                      NPR and 6 newly reported incidents). A                    2. Seat-Related Issues (28%): 255
                                             consumer reports, medical examiners,                    majority of these incidents involved                   incidents (254 incidents reported in the
                                             other state and local authorities, retailer             children 18 months and younger. The                    NPR and 1 newly reported incident)
                                             reports, newspaper clippings, death                     severity of the injury types among the                 involved seat-related issues. These
                                             certificates, and follow-up CPSC In-                    152 reported injuries are described                    incidents included failure of the lock/
                                             Depth Investigations of reported                        below:                                                 latch that controls the seat-recline
                                             incidents.4 From the CPSRMS, CPSC is                       D Five children required a hospital                 function; tearing, cracking, and/or
                                             aware of a total of 912 incidents (2 fatal              admission. The injuries were skull                     peeling seat pads; detaching seat backs;
                                             and 152 nonfatal injuries) related to                   fractures, concussions, and other head
                                             booster seats reported to have occurred                                                                        failure of seat height adjustment lock/
                                                                                                     injuries.                                              latches; and seats detaching from the
                                             from January 1, 2008 through October                       D Another 22 children were treated
                                             31, 2017.5 The 912 booster seat                                                                                base of certain models. Twenty-two
                                                                                                     and released from a hospital emergency                 injuries are included in this category:
                                                                                                     department (ED) for injuries resulting                 Three resulting in hospitalization and
                                               3 Staff made determinations using information
                                                                                                     mostly from falls.                                     five ED-treated injuries. The newly
                                             from Dun & Bradstreet and ReferenceUSAGov, as
                                             well as firm websites.
                                                                                                        D The remaining incidents primarily                 reported incident involved the booster
                                               4 These reported deaths and incidents do not          involved contusions, abrasions, and                    seatback detaching altogether, allowing
                                             provide a complete count of all that occurred
                                             during this time period. However, they do provide
                                                                                                                                                            the child to fall and sustain multiple
                                                                                                       Tab A of the Staff’s Final Rule Briefing Package
daltland on DSKBBV9HB2PROD with RULES




                                             a minimum number of incidents occurring during          provides a detailed description of the 45 newly        skull fractures, requiring
                                             this period and illustrate the circumstances            reported incidents (collected between October 1,       hospitalization.
                                             involved in the incidents related to booster seats.     2016 and October 31, 2017). Fifty-three percent of        3. Tray-Related Issues (21%): 189
                                               5 The NPR described incidents reported to have        the 45 newly reported incidents were reported to       incidents (171 incidents reported in the
                                             occurred from January 1, 2008 through September         have occurred between October 2016 and October,
                                             30, 2016. A detailed description of these data can      2017 (i.e., post-NPR timeframe). The remaining 47
                                                                                                                                                            NPR and 18 newly reported incidents)
                                             be found in Tab A of the Staff’s NPR Briefing           percent of newly reported incidents occurred           involved issues related to booster seat
                                             Package.                                                during the timeframe covered in the NPR.               trays. These incidents included tray


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00009   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                             30840                Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations

                                             paint finish peeling off, trays failing to              incidents occurred. One incident in this                   Æ Unspecified circumstances (55
                                             lock/stay locked, trays with sharp                      category, a fatality, reported                          percent).
                                             protrusions on the underside, trays too                 confounding factors that likely                            Æ Unspecified tip overs (18 percent);
                                             tight/difficult to release, and trays                   contributed to the death. Two other                     tip overs due to child pushing back or
                                             pinching fingers. These incidents also                  injuries were reported in this category,                rocking in seat (6 percent).
                                             included complaints about broken toy                    including a fall injury.                                   Æ Booster seat attachment or child-
                                             accessories, which are usually attached                                                                         restraint mechanism failure/defeat/non-
                                             to the tray (or tray insert). Thirty-eight              C. NEISS Data
                                                                                                                                                             use (8 percent).
                                             injuries are included in this category,                    The National Electronic Injury                          • Injured body part—head (58
                                             including one that required ED                          Surveillance System (NEISS), a                          percent), face (22 percent), and mouth (7
                                             treatment.                                              statistically valid injury surveillance                 percent).
                                                4. Design Problems (3.8%): 35                        system,6 is the source of the injury                       • Injury type—internal organ injury
                                             incidents (33 discussed in the NPR and                  estimates discussed in this section.                    (40 percent), lacerations (24 percent),
                                             2 newly reported) involved a potential                  Since the NPR, new ED-treated injury                    and contusions/abrasions (19 percent).
                                             entrapment hazard due to the design of                  data have become available for 2016.                       • Disposition—treated and released
                                             the booster seat. Most of these incidents               However, the estimates for 2016 are not                 (about 98 percent).
                                             involved limbs, fingers, and toes                       reportable per NEISS publication                           Incidents in a Restaurant Setting. For
                                             entrapped in spaces/openings between                    criteria.7 As such, the Commission                      the NPR, CPSC staff noted that although
                                             the armrest and seat back/tray, between                 presents the injury estimates and injury                most of the incidents occurred in home
                                             the passive crotch-restraint bar and the                characteristics for the aggregate data                  settings, one incident report explicitly
                                             seat/tray, between the tray inserts, or in              from 2008 through 2016.                                 mentioned a restaurant where an infant
                                             toy accessories. Sixteen injuries were                     CPSC staff estimates a total of 12,000               was using a booster seat provided by the
                                             included in this category, two requiring                injuries (sample size = 455, coefficient                establishment. Among the new
                                             ED treatment.                                           of variation = 0.10) related to booster                 incidents that staff analyzed, none
                                                5. Stability-Related Issues (3.4%): 31               seats were treated in U.S. hospital EDs                 occurred at a restaurant.
                                             incidents, discussed in the NPR,                        over the 9-year period from 2008                           Among the NEISS ED-treated injury
                                             involved booster seat stability. Most of                through 2016. NEISS data for 2017 is                    data, from 2008 to 2016, 31 injury
                                             these incidents (27 of 31) concerned the                not complete at this point in time.                     reports explicitly mentioned that the
                                             adult chair to which the booster seat                   Similar to 2016, staff cannot report                    injury occurred in a restaurant setting.
                                             was attached tipping back or tipping                    injury estimates for some of the other                  Although these 31 reports are included
                                             over. Some of these incidents resulted                  individual years because of the NEISS                   in the larger sample that yielded the
                                             from the child pushing back from the                    publication criteria. Note, however, that               total estimated number of injuries of
                                             table or counter. Twenty-two injuries                   staff did not observe any trend over the                12,000, a national injury estimate for
                                             (including two hospitalizations and five                9-year period regarding injuries                        restaurant injuries only does not meet
                                             ED-treated injuries) and one fatality are               increasing or decreasing.                               the NEISS publication criteria and is not
                                             included in this category.                                 No deaths were reported through the                  presented here. Staff reviewed the
                                                6. Armrest Problems (2.6%): 24                       NEISS. About 64 percent of the injured                  injury characteristics in these reports,
                                             incidents, discussed in the NPR,                        were younger than 2 years of age; among                 which indicated that all of the injuries
                                             involved booster seat armrests cracking                 the remaining, 24 percent, 8 percent,                   resulted from falls, but the
                                             or breaking. In a few cases, the armrest                and 4 percent were 2-year-olds, 3-year-                 circumstances were unspecified for the
                                             reportedly arrived broken inside the                    olds, and 4-year-olds, respectively. For                most part. Staff cannot discern from the
                                             booster seat packaging. One injury is                   the ED-treated injuries related to booster              injury reports whether the booster seats
                                             included in this category.                              seats reported in the 9-year period, the
                                                7. Miscellaneous Product Issues                                                                              involved were provided by the
                                                                                                     following characteristics occurred most                 establishment.
                                             (1.9%): 17 miscellaneous incidents (16                  frequently:
                                             incidents reported in the NPR and 1                        • Hazard—falls out of the booster seat               D. Product Recalls
                                             newly reported incidents) involved a                    (97 percent). Most of the falls were due                   Compliance staff reviewed recalls of
                                             variety of product-related issues,                      to:                                                     booster seats that occurred from January
                                             including unclear assembly                                                                                      1, 2008 to May 30, 2018. During that
                                             instructions, poor quality construction,                  6 NEISS injury data are gathered from EDs of
                                                                                                                                                             time, two consumer-level recalls
                                             odor, rough surface, rough edges,                       hospitals selected as a probability sample of all the
                                                                                                                                                             involved booster seats. Both recalls
                                             breakage, or loose hardware at                          U.S. hospitals with EDs open 24 hours a day that
                                                                                                     have at least six beds. The surveillance data           involved a fall hazard. One recalled
                                             unspecified sites. One incident report                  gathered from the sample hospitals enable the CPSC      product was associated with a fall
                                             alleged that the poor design of the                     staff to make timely national estimates of the          hazard when the stitching on the
                                             booster seat failed to contain/support                  number of injuries associated with specific
                                                                                                                                                             booster seat’s restraint straps loosened,
                                             the child and led to a fall injury. Ten                 consumer products.
                                                                                                       Staff extracted all data coded under product code     allowing the straps to separate from the
                                             injuries were included in this category,                                                                        seat and the child to fall out of the seat.
                                                                                                     1556 (Attachable high chairs including booster
                                             including two ED-treated injuries.                      seats) for patients aged under 5 years. Staff           Another recall involved the booster seat
                                                8. Combination of Multiple Issues                    considered certain records out-of-scope for the         restraint buckle, which opened
                                             (1.9%): 17 incidents, discussed in the                  purposes of this memorandum. For example, staff
                                                                                                     excluded hook-on chair-related incidents that are       unexpectedly, allowing a child to fall
                                             NPR, involved a combination of the
                                                                                                     also covered under product code 1556 or car             from the chair and be injured.
                                             product hazards listed above. Four                      booster seats incorrectly coded as 1556; and also
daltland on DSKBBV9HB2PROD with RULES




                                             injuries were included in this category.                considered out-of-scope a sibling or a pet knocking     IV. Overview and Assessment of ASTM
                                                9. Unknown Issues (0.5%): Five                       over the adult chair holding the booster seat           F2640
                                             incidents involved unknown issues (4                    containing the child. Staff excluded these records
                                             incidents reported in the NPR and 1                     prior to deriving the statistical injury estimates.     A. Overview of ASTM F2640
                                                                                                       7 According to the NEISS publication criteria, an
                                             newly reported incident). In these                      estimate must be 1,200 or greater, the sample size
                                                                                                                                                               The voluntary standard for booster
                                             incidents, CPSC staff had insufficient                  must be 20 or greater, and the coefficient of           seats, ASTM F2640, Standard Consumer
                                             information to determine how the                        variation must be 33 percent or smaller.                Safety Specification for Booster Seats, is


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00010   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                                                  Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations                                                30841

                                             intended to minimize the risk of injury                    D Sharp points or edges;                            use of booster seats. CPSC staff
                                             or death to infants in booster seats                       D Small parts;                                      examined the incident data, identified
                                             associated with falls from booster seats,                  D Wood parts;                                       hazard patterns in the data, and worked
                                             tipping over or out of booster seats,                      D Lead in paint;                                    with ASTM to develop and update the
                                             restraint disengagement or lack of a                       D Scissoring, shearing, and pinching;               performance requirements in ASTM
                                             restraint system, tray disengagement,                      D Openings;                                         F2640. The incident data and identified
                                                                                                        D Exposed coil springs;
                                             booster seats stability while attached to                  D Protective components;                            hazard patterns formed the basis for
                                             an adult chair, entrapments in booster                     D Labeling; and                                     ASTM to develop ASTM F2640–18 with
                                             seats, and other hazards such as cuts,                     D Toys.                                             CPSC staff’s support throughout the
                                             bruises, and lacerations. ASTM F2640                       Performance Requirements and Test                   process.8 The following section
                                             was first approved and published in                     Methods. These sections contain                        discusses how each of the identified
                                             2007, as ASTM F2640–07, Standard                        performance requirements specific to                   product-related issues or hazard
                                             Consumer Safety Specification for                       booster seats (discussed here) and the                 patterns listed in section III.C. of this
                                             Booster Seats. ASTM has since revised                   required test methods to assess                        preamble is addressed by the current
                                             the voluntary standard 11 times. Tab C                  conformity with such requirements.                     voluntary standard, and it also describes
                                             of Staff’s Final Rule Briefing Package                     D Tray impact test: This test assesses              and assesses each of the three changes
                                             includes a description of each revision                 the tray’s resistance to breaking into                 included in ASTM F2640–18.
                                             through 2018.                                           small pieces or creating sharp points/
                                                The current version of the standard,                                                                        1. Adequacy of ASM F2640–18 To
                                                                                                     edges when dropped from a specified
                                             ASTM F2640–18, was approved on                                                                                 Address Hazard Patterns
                                                                                                     height.
                                             April 1, 2018, and published in April                      D Tray engagement test: This test                   a. Restraint/Attachment Problems
                                             2018. ASTM F2640–18 includes three                      assesses the tray’s ability to remain                     Restraint system and attachment
                                             changes from the version of the standard                engaged to the booster seat when                       problems included buckles/prongs
                                             proposed in the NPR, ASTM F2640–                        subjected to a specified force                         breaking, jamming, releasing too easily,
                                             17ε1:                                                   horizontally and vertically.
                                                • New performance and testing                                                                               or separating from straps; straps tearing
                                                                                                        D Static load test: This test assesses
                                             requirements for a new type of booster                                                                         or fraying, pinching, or coming undone;
                                                                                                     whether the booster seat can support its
                                             seat that hangs from the back of an adult                                                                      and inadequacy or ineffectiveness of
                                                                                                     maximum recommended weight, by
                                             chair;                                                                                                         restraints in containing the child in
                                                                                                     gradually applying a static load on the
                                                • Clarification of the installation                                                                         place, Similarly, complaints about the
                                                                                                     center of the seating surface for a
                                             position for measuring a booster seat on                                                                       seat attachment system involved anchor
                                                                                                     specified amount of time.
                                             an adult chair; and                                        D Restraint system test: This test                  buckles/clasps/straps breaking, tearing,
                                                • New warning statement in                           assesses whether the restraint system                  fraying, detaching, or releasing. The
                                             Instructional Literature to address                     can secure a child in the manufacturer’s               Commission has reviewed CPSC staff’s
                                             booster seats that do not have a recline                recommended-use positions.                             evaluation of the attachment and
                                             position.                                                  D Seat attachment test: This test                   restraint system tests in ASTM F2640–
                                                In section IV.C below, we describe                   specifies that a booster seat must have                18, and concludes that these tests
                                             and assess each change.                                 a means of attaching a booster seat to an              adequately address the identified
                                                                                                     adult chair and assesses the booster                   hazards.
                                             B. Description of ASTM F2640–18                                                                                   Section 6.5 of ASTM F2640–18
                                                                                                     seat’s ability to remain fastened to the
                                                ASTM F2640–18 includes these key                     adult chair when force is applied.                     requires that a booster seat must have a
                                             provisions: Scope, terminology, general                    D Structural integrity (dynamic load):              means of ‘‘attaching’’ to an adult chair,
                                             requirements, performance                               This requirement assesses the durability               and be able to withstand a specified
                                             requirements, test methods, marking                     of the booster seat, including locking/                force without becoming detached from
                                             and labeling, and instructional                         latching devices which prevent folding                 the adult chair. Booster seats may
                                             literature.                                             or adjustment of the booster seat.                     employ several methods to secure to an
                                                Scope. This section describes what                      D Maximum booster seat dimensions:                  adult chair, including straps, suction,
                                             constitutes a ‘‘booster seat.’’ As stated in            This requirement assesses how large a                  and anti-skid bottoms or grip feet that
                                             section II.A. of this preamble, the Scope               booster seat can be in relation to the                 minimize slippage on the chair by
                                             section describes a booster seat as ‘‘a                 adult chair dimensions specified on the                means of friction. However, because
                                             juvenile chair, which is placed on an                   booster seat’s packaging.                              ‘‘grip feet’’ and ‘‘friction bottoms’’ do
                                             adult chair to elevate a child to standard                 Marking and Labeling. This section                  not actually attach (i.e., fasten) the
                                             dining table height.’’ The description                  contains various requirements related to               booster seat to an adult chair, the ASTM
                                             further specifies appropriate ages for                  warnings, labeling, and required                       standard does not consider these to be
                                             children using a booster seat, stating, a               markings for booster seats, and it                     a means of securing or attaching booster
                                             ‘‘booster seat is made for the purpose of               prescribes various substance, format,                  seats to an adult chair. The Commission
                                             containing a child, up to 5 years of age,               and prominence requirements for this                   agrees. Conversely, because suction
                                             and normally for the purposes of                        information.                                           physically fastens the booster seat to an
                                             feeding or eating.’’                                       Instructional Literature. This section              adult chair, the ASTM standard
                                                Terminology. This section defines                    requires that easily readable and                      considers suction to be a means of
                                             terms specific to this standard.                        understandable instructions be provided                attachment under Section 6.5 of the
                                                General Requirements. This section                   with booster seats. Additionally, the                  current ASTM standard. The
                                             addresses numerous hazards with
daltland on DSKBBV9HB2PROD with RULES




                                                                                                     section contains requirements related to               Commission agrees with this as well.
                                             several general requirements; most of                   instructional literature contents and                  Accordingly, the final rule requires any
                                             these general requirements are also                     format.                                                booster seat using suction as a means of
                                             found in the other ASTM juvenile
                                             product standards. The general                          C. Assessment of ASTM F2640–18
                                                                                                                                                               8 Assessment of ASTM F2640–17ε1 in the NPR is
                                             requirements included in this section                      CPSC staff identified 912 incidents                 at 82 FR 22928–29, and in Tab B of Staff’s NPR
                                             are:                                                    (including two fatalities) related to the              Briefing Package.



                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00011   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                             30842                Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations

                                             attachment to pass the attachment test                  booster seats must contain a cautionary                  Section 6.7 of ASTM F2640–18
                                             to be compliant.                                        statement: ‘‘Never allow a child to push               addresses this style of booster seat and
                                                                                                     away from table.’’ Moreover, ASTM                      has two requirements. The first
                                             b. Seat-Related Issues
                                                                                                     F2640–18 requires a booster seat to                    requirement states that, when in all
                                                Seat-related issues included failure of              identify on the booster seat packaging                 manufacturer’s recommended use
                                             the lock/latch that controls the seat-                  the size of adult chair on which the                   positions, the booster seat must not tilt
                                             recline function; seat pads tearing,                    booster seat can fit, thereby allowing                 forward more than 10 degrees from the
                                             cracking, and/or peeling; seat backs                    consumers to make a more informed                      horizontal. This requirement was added
                                             detaching altogether; seat height                       purchasing choice.                                     because a seat that is tilted forward too
                                             adjustment lock/latch failures; and seat                                                                       far may result in a child falling out of
                                             detachment from the base that is                        f. Armrest Problems                                    the seat. The second requirement states
                                             available for certain models. The                          Armrest problems included booster                   that the backrest support contact must
                                             Commission has reviewed CPSC staff’s                    seat armrests cracking, and in a few                   contact the top of the adult chair
                                             evaluation of the static load and                       cases, the armrest arriving to the                     backrest and extend over and below the
                                             dynamic booster seat tests in ASTM                      consumer broken in the packaging. The                  top rear edge of the adult chair backrest.
                                             F2640–18, and concludes that these                      Commission has reviewed CPSC staff’s                   This requirement was added to ensure
                                             tests adequately address these hazards.                 evaluation of the static and dynamic                   that the booster seat is reasonably secure
                                                                                                     load tests contained in ASTM F2640–                    to the adult chair backrest so that the
                                             c. Tray-Related Issues
                                                                                                     18, and concludes that those tests                     booster seat does not fall off the adult
                                                Tray-related issues included trays                   adequately address armrest-related                     chair.
                                             with paint finish peeling off, trays                    hazards.                                                 Section 6.8 of ASTM F2640–18
                                             failing to lock/stay locked, trays with                                                                        addresses the maximum booster seat
                                             sharp protrusions on the underside,                     g. Miscellaneous Product-Related Issues
                                                                                                                                                            dimensions. The previous version,
                                             trays that were too tight/difficult to                     Miscellaneous product-related issues                ASTM F2640–17ε1, also had a section
                                             release, and trays pinching fingers. The                included unclear assembly instructions,                addressing maximum dimensions, but it
                                             Commission has reviewed CPSC staff’s                    poor quality construction, odor, rough                 did not include requirements for the
                                             evaluation of the standard, and                         surfaces, breakage, or loose hardware at               new, over-the-backrest-style booster
                                             concludes that the general requirements                 unspecified sites. The Commission has                  seats. The latest version incorporates the
                                             section of F2640–18 adequately                          reviewed CPSC staff’s evaluation of the                previous requirements, but it also
                                             addresses peeling paint, sharp                          general requirements section, as well as               includes the requirements specific to
                                             protrusions, and pinching hazards, and                  the instructional literature requirements              this new style of booster seat.
                                             the standard’s tray engagement test                     of ASTM F2640–18, and concludes that
                                             adequately address the tray locking                     those requirements adequately address                  b. Clarification of the Installation
                                             failures.                                               this hazard.                                           Position for Measuring a Booster Seat on
                                                                                                                                                            an Adult Chair
                                             d. Design Problems                                      2. Description and Assessment of
                                                                                                                                                               Section 7.10.1.1 of ASTM F2640–18
                                               Booster seat design problems resulted                 Changes in ASTM F2640–18
                                                                                                                                                            explains how to measure the maximum
                                             in limbs, fingers, and toes entrapped in                   Below we describe each of the three                 booster seat dimension for both
                                             spaces/openings between the armrest                     changes in the voluntary standard since                traditional and over-the-backrest style
                                             and seat back/tray, between a passive                   publication of the NPR, as reflected in                booster seats and includes a diagram of
                                             crotch restraint bar and seat/tray,                     ASTM F2640–18. The Commission                          a test fixture to be used for over-the-
                                             between tray inserts, or in toy                         finds that each of these requirements                  backrest seats and a diagram of their
                                             accessories. The Commission has                         enhances the safety of booster seats and               proper installation. This test protocol
                                             reviewed CPSC staff’s evaluation of the                 strengthens the standard incorporated as               was added to provide clarity and ensure
                                             general requirements of ASTM 2640–18                    the final rule for booster seats.                      that testing labs are performing the tests
                                             (namely requirements relating to                                                                               consistently.
                                                                                                     a. New Performance and Testing
                                             scissoring, shearing, and pinching,
                                                                                                     Requirements for a New Type of Booster                 c. New Warning Statement in
                                             openings, and toys) and concludes that
                                                                                                     Seat That Hangs From the Back of an                    Instructional Literature To Address
                                             the ASTM standard adequately
                                                                                                     Adult Chair                                            Booster Seats That Do Not Have a
                                             addresses the identified hazards.
                                                                                                        The new style of booster seat attaches              Recline Position
                                             e. Stability-Related Issues                             to the adult chair fundamentally                          Section 9 (Instructional Literature) of
                                                Stability-related incidents included                 differently than typical booster seats.                F2640–18 contains a new requirement,
                                             instances where the adult chair, to                     This new design can fold and is                        Section 9.5, stating that if the booster
                                             which the booster seat was attached,                    marketed as a travel booster seat.                     seat has no recline feature, the
                                             tipped back or tipped over. Addressing                  Typical booster seats are placed on the                instructions shall contain a statement
                                             the stability of the booster seat while                 seat of the chair and usually attached to              addressing that the product is only for
                                             attached to an adult chair is difficult in              the seat and back with straps. Thus, the               children capable of sitting upright
                                             a standard for booster seats because                    typical booster seat rests on the chair                unassisted.
                                             stability depends on the adult chair. The               seat and the adult chair seat bears all of
                                             ASTM booster seat subcommittee and                      the booster seat’s weight. The new style               D. International Standards for Booster
                                             CPSC staff worked diligently to find an                 of booster seat has a frame that hangs                 Seats
                                             effective requirement to adequately                     over the top of the adult chair seat back,               The Commission is aware of one
daltland on DSKBBV9HB2PROD with RULES




                                             address stability without specifying                    usually with umbrella style hooks, and                 international voluntary standard
                                             requirements for the adult chair.                       has feet that rest on the seat of the adult            pertaining to booster seats, BS EN16120
                                             Although ASTM F2640–18 does not                         chair. The child’s seating area is                     Child Use and Care Articles—Chair
                                             contain a performance requirement to                    attached to the frame. Tab C of Staff’s                Mounted Seat. CPSC staff compared the
                                             address this hazard, it does contain a                  Final Rule Briefing Package contains a                 performance requirements of ASTM
                                             labeling provision, requiring that                      picture of this design.                                F2640–18 to the performance


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00012   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                                                  Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations                                           30843

                                             requirements of BS EN16120, which is                       Comment 2: Two manufacturer                         the capability of suction cups to comply
                                             intended for a similar product category,                commenters contended that food-service                 with performance requirements.
                                             and identified several differences.                     booster seats should not be covered                       Although the Commission agrees that
                                             Primarily, the scope of ASTM F2640–18                   under ASTM F2640, with one                             some differences exist between food-
                                             includes products intended for children                 commenter proposing that a separate                    service booster seats and booster seats
                                             up to 5 years of age, while EN 16120 is                 commercial standard be developed.                      intended for home-use, the commenters
                                             intended for products up to an age of 36                These commenters stated that food-                     did not provide sufficient, specific
                                             months, or a maximum weight of 15 kg                    service booster seats have simple                      information to support the assertion that
                                             (33 lbs.).                                              designs intended solely to be positioned               food-service booster seats should not be
                                                Staff found that some individual                     easily alongside a dining table, and                   covered under ASTM F2640; nor did
                                             requirements in the BS EN16120                          raised to a height for a child to eat.                 they provide cost estimates for varying
                                             standard are more stringent than ASTM                   Commenters noted several elements that                 designs, other than generally stating that
                                             F2640–18. For example, BS EN16120                       make food-service booster seats different              the process of compliance would be
                                             includes requirements for head                          from home-use booster seats, including:                costly and time intensive. Accordingly,
                                             entrapment, lateral protection, surface                 (1) Less-confined designs to                           despite CPSC staff’s interviews with
                                             chemicals, cords/ribbons, material                      accommodate bulky outerwear; (2)                       affected parties, and after careful review
                                             shrinkage, packaging film, and                          generally smaller size; (3) tray-less; (4)             of the comments, the Commission has
                                             monofilament threads. Staff did not                     not adjustable (no swiveling or                        not identified any inherent differences
                                             identify any hazard patterns in CPSC’s                  reclining); and (5) typically use                      between the two products that would
                                             incident data that such provisions could                attachment methods like anti-skid pads                 prevent food-service booster seats from
                                             address. Conversely, some individual                    or raised rubber feet that can                         meeting the mandatory standard and
                                             requirements in ASTM F2640–18 are                       accommodate restaurant seating, such as                remaining fundamentally the same
                                             more stringent than those found in EN                   booths and benches, which belts and                    product. For example, although no food-
                                             16120. For example, ASTM F2640–18                       straps cannot.                                         service booster seats have trays, trays
                                             includes requirements for tray                             One manufacturer-commenter noted                    are not required to meet the booster seat
                                             performance and toy accessories.                        that the level of supervision over                     final rule. If a booster seat does not have
                                             Currently, CPSC is not aware of any                     children in restaurants is greater than in             a tray, the requirements, tests, warnings,
                                             technically feasible method to test for                 homes, where children may be left                      and instructions related to trays are not
                                             the most prevalent and dangerous                        unattended while eating. The                           required. As another example, although
                                             hazard pattern, falls resulting from                    commenter stated that this makes food-                 it is true that anti-skid pads and raised
                                             tipping over in an adult chair. However,                service booster seat designs, which are                rubber feet would not be considered
                                             CPSC staff will continue to monitor                     completely appropriate for restaurant                  attachment methods under the
                                             hazard patterns and recommend future                    use, potentially risky in home settings.               mandatory standard, they may still be
                                             changes to the Commission, if                           Rather than addressing this under the                  used in addition to an attachment
                                             necessary.                                              current regulation, however, the                       method like a belt, strap, or suction cup.
                                                                                                     commenter suggested a separate                         Food-service booster seats can likely
                                             V. Response to Comments
                                                                                                     regulation for food-service booster seats              meet the new standard by adding a belt,
                                                CPSC received eight comments on the                  that focuses on elements that ensure                   for example, while retaining the anti-
                                             NPR. Four commenters generally                          proper use, such as more stringent                     slip mechanism they were using
                                             supported the NPR. Two commenters                       warnings and instructional literature (in              already.
                                             requested that CPSC wait to finalize the                particular not using food-service booster                 Section 6.5 of ASTM F2640 (2017ε1
                                             rule to include the next version of the                 seats outside of commercial settings,                  and 2018 versions) requires a
                                             voluntary standard, which would                         and not leaving children unsupervised                  mechanism of attaching a booster seat to
                                             include two open ASTM ballot items,                     during use), as well as educating end                  an adult chair, but it does not require
                                             including a new booster seat design that                users and wait staff.                                  the attachment mechanism to be a strap.
                                             attaches to an adult chair by hooking                      Consumer advocate-commenters                        Although a strap attachment would not
                                             over the top back of the chair. Two                     agreed with the NPR that food-service                  work on a bench or booth, non-strap
                                             commenters stated that booster seats                    booster seats should be included under                 attachment methods, such as suction
                                             manufactured for food-service                           the mandatory standard because these                   cups, could be used to secure a booster
                                             establishments should be exempt from                    products are available for sale to                     to a bench. Additionally, ASTM F2640
                                             the mandatory standard, or be subject to                consumers and consumers use the                        does not state any specific requirements
                                             a different standard. Below we                          products in restaurants, and these                     for booster seats used on a booth or
                                             summarize and respond to each                           products should provide the same                       bench-type seating. Under the standard,
                                             significant issue raised by the                         measure of safety.                                     booster seats are tested on an adult
                                             commenters.                                                Response 2: The Commission                          chair. The standard requires the
                                                Comment 1: Two commenters stated                     recognized in the NPR that food-service                attachment method to withstand force
                                             that the Commission should not issue a                  booster seats vary in design and where                 requirements. Although ‘‘grip feet’’ or
                                             final rule until ASTM approves the next                 they will be used, and that the                        ‘‘friction bottoms’’ are not a sufficient
                                             version of ASTM F2640. The                              attachment requirement in ASTM F2640                   means of fastening a booster seat to an
                                             commenters stated that the 2018 version                 may require a design change for some                   adult chair, some suction cups can be
                                             would clarify the intent of the                         food-service booster seats. Accordingly,               sufficient to withstand the force
                                             maximum booster seat dimension test                     the NPR invited commenters to provide                  required in the standard.
                                                                                                     information on the effects of making                      Based on the foregoing, the
daltland on DSKBBV9HB2PROD with RULES




                                             and would address the new hook on
                                             booster seat design.                                    ASTM F2640–17ε1’s attachment                           Commission rejects the assertion that
                                                Response 1: The Commission agrees                    requirements mandatory on booster                      food-service booster seats should solely
                                             with these commenters. The final rule                   seats that currently use grip feet/friction            rely on warnings to prevent falls in
                                             incorporates by reference the latest                    bottoms to secure the booster to the                   food-service booster seats. In a food-
                                             version of the voluntary standard,                      surface upon which it sits. Additionally,              service environment, booster seats are
                                             ASTM F2640–18.                                          the NPR solicited comments regarding                   used on adult chairs and bench-style


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00013   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                             30844                Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations

                                             seating. Adhering to the mandatory                      from the seat surface to the top of the                   Comment 6: The Commission
                                             standard for booster seats will ensure                  side walls of the seat range from 3                    received four comments on CPSC’s
                                             that food-service booster seats remain                  inches to 5 inches, which restricts the                proposed 12-month effective date for the
                                             attached to adult chairs under the                      space for labeling, and requests                       booster seats mandatory standard. One
                                             testing protocol, but not impede using                  conspicuous labeling to include the seat               comment, submitted by three consumer
                                             grip feet on bench seating, if that is how              surface.                                               advocacy groups, supported a 6-month
                                             manufacturers choose to address this                       Response 4: The most recent version                 effective date (which they seem to
                                             issue. Additionally, nothing in the final               of the voluntary standard applicable to                believe mistakenly was the
                                             rule would prevent food-service booster                 booster seats, ASTM F2640–18, requires                 Commission’s proposal). Two
                                             seat suppliers from providing additional                the warning label to be conspicuous. A                 commenters, a juvenile product
                                             warnings and instructions, if they                      ‘‘conspicuous label’’ is defined in the                manufacturers’ association and a private
                                             believe such information will improve                   standard as a ‘‘label which is visible,                citizen, supported the proposed 12-
                                             the safety their products.                              when the product is in the                             month effective date, although the
                                                Section 104 of the CPSIA requires the                manufacturer’s recommended use                         private citizen said that they would also
                                             Commission to promulgate a booster                      position, to a person standing at the                  support an even longer effective date to
                                             seat standard that is either                            sides or front of the booster seat’’                   reduce the economic impact on small
                                             ‘‘substantially the same as’’ the                       (ASTM F2640–18, section 3.1.1).                        firms. A fourth commenter, a small
                                             voluntary standard or ‘‘more stringent                  Accordingly, the definition of                         manufacturer of food-service booster
                                             than’’ the voluntary standard if the more               ‘‘conspicuous’’ in the standard does not               seats, suggested a 2-year effective date to
                                             stringent requirements would further                    preclude use of the seat surface for the               allow additional time for product
                                             reduce the risk of injury associated with               warning label placement, because the                   development. The commenter stated:
                                             the product. Accordingly, CPSC’s                        seat surface is visible to a person                    ‘‘compliance may require the costly and
                                             mandatory standard could only provide                   standing at the sides or front of the                  time intensive process of developing
                                             requirements for food-service booster                   booster seat.                                          and building new tooling to comply
                                             seats that differ from the ASTM                            Additionally, to address comments                   with the Standard.’’
                                             standard, if those different requirements               that a side wall height range of 3 inches                 In a follow-up call with Commission
                                             strengthen the standard and further                     to 5 inches would restrict warning                     staff (a phone log is in regulations.gov),
                                             reduce the risk of injury. The                          placement, staff generated mock                        the fourth commenter elaborated on the
                                             commenters have not provided any                                                                               request for a 2-year effective date,
                                                                                                     warning labels that meet the ASTM
                                             safety rationale for excluding food-                                                                           stating that for their booster seats to
                                                                                                     F2640–18 requirement for signal word
                                             service booster seats from the final rule.                                                                     come into compliance with the revised
                                                                                                     and font size in section 8.4.5. Tab B of
                                             None of the suggestions presented by                                                                           ASTM standard, they will need to
                                                                                                     Staff’s Final Rule Briefing Package
                                             commenters would result in a standard                                                                          design and test new plastic molds.
                                                                                                     provides pictures of these mock warning
                                             that is ‘‘more stringent than’’ the                                                                            Creating a new mold includes
                                                                                                     labels. Staff’s mock-ups show that the
                                             voluntary standard. Therefore, the                                                                             researching and developing a new
                                                                                                     label can be placed on products with
                                             Commission is not modifying the                                                                                design, initial tool-building to
                                                                                                     limited side wall space. Accordingly,
                                             booster seat requirements for food-                                                                            implement the design, and then testing
                                                                                                     manufacturers have the flexibility to
                                             service booster seats as part of the                                                                           the resulting product. The commenter
                                                                                                     place the warning label on seat surface                stated that the entire process takes
                                             mandatory standard. However, as
                                             explained below, in response to                         or on the seat vertical wall.                          longer for firms like theirs because their
                                             Comment 6, the final rule provides                         Comment 5: One commenter urged                      mold-maker is located overseas.
                                             additional time to comply with the new                  CPSC to work with manufacturers to use                 Consequently, if changes to the mold are
                                             standard.                                               design and visual cues, such as                        required after testing the new product,
                                                Comment 3: One commenter stated                      pictograms, to ensure warnings are                     the turnaround time is longer than if all
                                             that to comply with the standard,                       conveyed effectively to those with                     the work were conducted in the United
                                             booster seats using suction as a means                  limited or no English literacy.                        States. According to the commenter, if
                                             of attachment should be required to pass                   Response 5: The Commission                          the design process goes perfectly, with
                                             the attachment test in ASTM F2640–                      acknowledges that well-designed                        no required changes, then their booster
                                             17ε1.                                                   graphics, such as pictograms, can be                   seats could be redesigned in time to
                                                Response 3: The Commission agrees                    useful for consumers with limited or no                meet the 12-month effective date. The
                                             that regardless of the means of                         English literacy. However, the design of               commenter stated that the request for a
                                             attachment, all booster seats must meet                 effective graphics can be difficult. Some              2-year effective date was based on the
                                             the requirements in section 6.5 of the                  seemingly obvious graphics are poorly                  design process for plastic molds and the
                                             current voluntary standard, ASTM                        understood and can give rise to                        potential need to create and test several
                                             F2640–18. These requirements include:                   interpretations that are the opposite of               iterative designs.
                                             Not allowing the booster seat to fall off               the intended meaning (so-called                           Response 6: The Commission
                                             the adult chair and break, and                          ‘‘critical confusions’’). To avoid                     recognizes that longer effective dates
                                             remaining functional after applying a                   confusion, a warning pictogram should                  minimize the impact on affected firms.
                                             45-pound force horizontally to the                      be developed with an empirical study                   The initial regulatory flexibility analysis
                                             center of the front of the booster seat                 and should also be well-tested on the                  (IRFA) found that a significant
                                             five times. The requirements do not                     target audience. Thus far, pictograms                  economic impact could not be ruled out
                                             prescribe how the seat should be                        have not been developed for booster-                   for 69 percent of the small firms
                                                                                                     seat warning labels. In the future, if
daltland on DSKBBV9HB2PROD with RULES




                                             attached to the adult chair.                                                                                   operating in the U.S. market. Staff
                                                Comment 4: One commenter                             CPSC staff advises that graphic symbols                advised that many of those firms might
                                             questioned the applicability of placing                 are needed to reduce the risk of injury                not be aware of the ASTM voluntary
                                             warning labels on commercial booster                    associated with these products, the                    standard or the CPSC booster seats
                                             seats because of size constraints on                    Commission can consider updating the                   rulemaking, particularly food-service
                                             restaurant style-booster seats. The                     mandatory standard to include                          booster seat suppliers, which make up
                                             commenter indicated that the distance                   pictograms.                                            one-third of the small suppliers for


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00014   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                                                  Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations                                           30845

                                             which a significant impact could not be                 VI. Mandatory Standard for Booster                     required to meet the third party
                                             ruled out. The information supplied by                  Seats                                                  conformity assessment body
                                             the fourth commenter on the time and                      As discussed in the previous section,                accreditation requirements in part 1112.
                                             cost involved in designing and                          the Commission concludes that ASTM                     When a laboratory meets the
                                             producing new plastic molds is                          F2640–18 adequately addresses the                      requirements as a CPSC-accepted third-
                                             consistent with information supplied by                 hazards associated with booster seats.                 party conformity assessment body, the
                                             CPSC engineers, as is the longer time                   Thus, the final rule incorporates by                   laboratory can apply to the CPSC to
                                             frame required for firms conducting                     reference ASTM F2640–18, without                       have 16 CFR part 1237, Safety Standard
                                             some of their redesign overseas. Staff                                                                         for Booster Seats, included in its scope
                                                                                                     modification, as the mandatory safety
                                                                                                                                                            of accreditation of CPSC safety rules
                                             engineers have also indicated that foam                 standard for booster seats.
                                                                                                                                                            listed for the laboratory on the CPSC
                                             products would require new molds as
                                                                                                     VII. Amendment to 16 CFR Part 1112 to                  website at: www.cpsc.gov/labsearch.
                                             well, which likely require similar cost                 Include NOR for Booster Seats
                                             and time investments.                                                                                          VIII. Incorporation by Reference
                                                                                                     Standard
                                                Based on this information, the                                                                                Section 1237.2 of the final rule
                                                                                                        The CPSA establishes certain                        provides that booster seats must comply
                                             Commission concludes that a 12-month                    requirements for product certification
                                             effective date likely represents a ‘‘best-                                                                     with applicable sections of ASTM
                                                                                                     and testing. Products subject to a                     F2640–18. The OFR has regulations
                                             case’’ scenario for many affected firms,                consumer product safety rule under the
                                             and that 2 years likely represents a                                                                           concerning incorporation by reference. 1
                                                                                                     CPSA, or to a similar rule, ban, standard              CFR part 51. These regulations require
                                             ‘‘worst-case’’ scenario for firms required              or regulation under any other act
                                             to come into compliance. Firms                                                                                 that, for a final rule, agencies must
                                                                                                     enforced by the Commission, must be                    discuss in the preamble to the rule the
                                             designing and/or testing their molds in                 certified as complying with all                        way in which materials that the agency
                                             the United States should be able to meet                applicable CPSC-enforced requirements.                 incorporates by reference are reasonably
                                             shorter timelines, both in ‘‘best-case’’                15 U.S.C. 2063(a). Certification of                    available to interested persons, and how
                                             and ‘‘worst-case’’ scenarios. After                     children’s products subject to a                       interested parties can obtain the
                                             considering the information provided by                 children’s product safety rule must be                 materials. Additionally, the preamble to
                                             commenters, the Commission is                           based on testing conducted by a CPSC-                  the rule must summarize the material. 1
                                             providing an 18-month effective date for                accepted third party conformity                        CFR 51.5(b).
                                             all firms to come into compliance with                  assessment body. 15 U.S.C. 2063(a)(2).                   In accordance with the OFR’s
                                             the final rule. An 18-month effective                   The Commission must publish an NOR                     requirements, the discussion in section
                                             date balances the need for improved                     for the accreditation of third party                   IV of this preamble summarizes the
                                             consumer safety, with reducing the                      conformity assessment bodies to assess                 required provisions of ASTM F2640–18.
                                             impact of the final rule on small firms.                conformity with a children’s product                   Interested persons may purchase a copy
                                                                                                     safety rule to which a children’s product              of ASTM F2640–18 from ASTM, either
                                                Although some firms using molds                      is subject. 15 U.S.C. 2063(a)(3). The
                                             may require iterative designs to meet the                                                                      through ASTM’s website, or by mail at
                                                                                                     Safety Standard for Booster Seats, to be               the address provided in the rule. A copy
                                             standard, the 2-year time estimate for                  codified at 16 CFR part 1237, is a                     of the standard may also be inspected at
                                             product redesign using molds applies in                 children’s product safety rule that                    the CPSC’s Office of the Secretary, U.S.
                                             cases where a mold must be modified                     requires the issuance of an NOR.                       Consumer Product Safety Commission.
                                             several times, and the mold-redesign                       The Commission published a final                    Note that the Commission and ASTM
                                             work is conducted overseas. Not all                     rule, Requirements Pertaining to Third                 arranged for commenters to have ‘‘read-
                                             firms use molds, not all firms have                     Party Conformity Assessment Bodies, 78                 only’’ access to ASTM F2640–17ε1
                                             molds made overseas, and not all firms                  FR 15836 (March 12, 2013), which is                    during the NPR’s comment period.
                                             will encounter sufficient difficulty with               codified at 16 CFR part 1112 (referred to
                                             their molds to require a full 2 years to                here as part 1112). Part 1112 became                   IX. Effective Date
                                             make their iterative changes.                           effective on June 10, 2013 and                            The Administrative Procedure Act
                                             Additionally, not all products will                     establishes requirements for                           (APA) generally requires that the
                                             require a full redesign. Some products                  accreditation of third party conformity                effective date of a rule be at least 30
                                             already meet the ASTM voluntary                         assessment bodies (or laboratories) to                 days after publication of the final rule.
                                             standard and the anticipated product                    test for conformance with a children’s                 5 U.S.C. 553(d). Typically, the
                                             modifications (straps and/or more                       product safety rule, in accordance with                Commission provides a 6-month
                                             secure means of attachment) in those                    section 14(a)(2) of the CPSA. Part 1112                effective date for final rules issued for
                                             cases are not complex and should not                    also codifies a list of all of the NORs                durable infant or toddler products under
                                             fall within the ‘‘worst-case’’ scenario of              that the CPSC had published at the time                section 104 of the CPSIA. However, in
                                             a 2-year design process.                                part 1112 was issued. All NORs issued                  the NPR, the Commission proposed that
                                                                                                     after the Commission published part                    the booster seat rule be effective 12
                                                Moreover, providing additional time                  1112, such as the safety standard for                  months after publication of the final
                                             for firms to come into compliance                       booster seats, require the Commission to               rule in the Federal Register, to allow
                                             reduces burden by allowing firms the                    amend part 1112. Accordingly, the                      booster seat manufacturers additional
                                             time: (1) To spread out design and                      Commission is now amending part 1112                   time to bring their products into
                                             testing costs over a longer period; (2) to              to include the safety standard for                     compliance.
                                             come into compliance if they are                        booster seats in the list of other                        CPSC received several comments on
daltland on DSKBBV9HB2PROD with RULES




                                             currently unaware of the voluntary                      children’s product safety rules for                    the effective date of the final rule, which
                                             standard or the rulemaking; and (3) to                  which the CPSC has issued NORs.                        are summarized in section V of this
                                             redesign a plastic or foam product to                      Laboratories applying for acceptance                preamble, comment 6. As explained
                                             accommodate the design, tooling, and                    as a CPSC-accepted third party                         there, the remolding process for plastic
                                             testing adjustments that may be required                conformity assessment body to test to                  and foam booster seats could take in
                                             during the product redesign process.                    the new standard for booster seats are                 ‘‘best-case scenarios’’ 12 months, but in


                                        VerDate Sep<11>2014   17:54 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00015   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                             30846                Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations

                                             ‘‘worst-case scenarios’’ the process                    they are in their booster seat                            2. What are the differences between
                                             could take up to 2 years. Recognizing                   configuration. Some suppliers produce                  food-service and home-use booster seats
                                             that worst-case scenarios are likely to be              booster seats intended predominately                   and their typical use environments
                                             rare, the Commission is providing an                    for restaurant use. As discussed in                    (restaurants and homes)? How might the
                                             18-month effective date for the final                   sections II.A and V (comment 2), the                   safety risks vary between the two use
                                             rule. Moreover, as explained in the next                Commission will include food-service                   environments? Are there any alternative
                                             section of the preamble, the additional                 booster seats in the final rule with the               requirements that might address these
                                             time reduces the impact of the rule on                  same requirements as home-use booster                  risk variations and make booster seats
                                             small businesses.                                       seats. The prices for food-service and                 safer in both use environments?
                                                                                                     home-use booster seats are similar,                       3. What is the appropriate effective
                                             X. Regulatory Flexibility Act 9                         averaging $44 to $60. Not surprisingly,                date for the proposed rule?
                                                The Regulatory Flexibility Act (RFA),                combination high chair/booster seat                       CPSC did not receive public comment
                                             5 U.S.C. 601–612, requires that agencies                products tend to be more expensive,                    in response to question one. CPSC did
                                             review a proposed rule and a final rule                 ranging in price from $50 to $250.                     receive comments on questions 2 and 3.
                                             for the rule’s potential economic impact                                                                       Comment summaries and the
                                                                                                     B. Final Rule Requirements and Third                   Commission’s responses appear in
                                             on small entities, including small
                                                                                                     Party Testing                                          section V of this preamble.
                                             businesses. Section 604 of the RFA
                                             generally requires that agencies prepare                  All booster seats manufactured after
                                                                                                     the final rule’s effective date must meet              D. The Market for Booster Seats
                                             a final regulatory flexibility analysis
                                             (FRFA) when promulgating final rules,                   the requirements of the final rule                        The market for booster seats was
                                             unless the head of the agency certifies                 (ASTM F2640–18 with no                                 outlined in section II.B. Under U.S.
                                             that the rule will not have a significant               modification). They will also need to be               Small Business Administration (SBA)
                                             economic impact on a substantial                        third party tested, as described below.                guidelines, a manufacturer of booster
                                             number of small entities. For booster                     Under section 14 of the CPSA, once                   seats is considered small if it has 500 or
                                             seats, staff cannot rule out a significant              the new booster seat requirements                      fewer employees; and importers are
                                             economic impact for 19 of the 29 (66                    become effective as a consumer product                 considered small if they have 100 or
                                             percent) known small domestic                           safety standard, all suppliers will be                 fewer employees. CPSC limited its
                                             suppliers of booster seats to the U.S.                  subject to the third party testing and                 regulatory flexibility analysis to
                                             market. Accordingly, staff prepared a                   certification requirements under the                   domestic firms because SBA guidelines
                                             FRFA that is available at Tab D of the                  CPSA and the Testing and Labeling                      and definitions pertain to U.S.-based
                                             Staff’s Final Rule Briefing Package. We                 Pertaining to Product Certification rule               entities. Based on these guidelines, 29 of
                                             provide a summary of the FRFA below.                    (16 CFR part 1107) (1107 rule), which                  44 domestic firms are small—19
                                                The Commission is aware of 29 small                  require manufacturers and importers to                 domestic manufacturers, 9 domestic
                                             firms, including 19 domestic                            certify that their products comply with                importers, and 1 domestic firm whose
                                             manufacturers, nine domestic importers,                 the applicable children’s product safety               supply source could not be categorized.
                                             and one firm of unknown type,                           standards, based on third party testing,               Additional small domestic booster seat
                                             currently marketing booster seats in the                and subject their products to third party              suppliers may be operating in the U.S.
                                             United States. The Commission                           testing periodically. Third party testing              market, possibly including some of the
                                             concludes that it is unlikely that there                costs are in addition to the costs of                  firms operating online storefronts. As
                                             would be a significant economic impact                  modifying the booster seats to meet the                discussed in the FRFA, staff expects
                                             on the eight small manufacturers and                    standard. For booster seats, the third                 impacts of the final rule to be small for
                                             two small importers of booster seats that               party testing costs are expected to be                 online suppliers that staff could not
                                             comply with the current voluntary                       $500 to $1,000 per sample tested, with                 readily identify as domestic; therefore,
                                             standard for Juvenile Products                          the higher cost being more applicable to               they are not included in the analysis.
                                             Manufacturer’s Association-(JPMA)                       the smallest suppliers.11 As the
                                                                                                     component part testing rule allows (16                 E. Impact on Small Businesses
                                             testing purposes, ASTM F2640–17ε1.10
                                             However, the Commission cannot rule                     CFR part 1109), importers may rely                     1. Small Manufacturers
                                             out a significant economic impact for 19                upon third party tests obtained by their
                                                                                                                                                            a. Small Manufacturers With Compliant
                                             of the suppliers of noncompliant booster                suppliers, which could reduce the
                                                                                                                                                            Booster Seats
                                             seats (11 manufacturers, seven                          impact on importers. The incremental
                                                                                                     costs would also be lower for suppliers                   Of the 19 small manufacturers, eight
                                             importers, and one unknown type).
                                                                                                     of compliant booster seats if they are                 produce booster seats that comply with
                                             A. The Product                                          already obtaining third party tests to                 the ASTM voluntary standard currently
                                                Section II.A of this preamble defines                assure conformance with the voluntary                  in effect for testing purposes (ASTM
                                             ‘‘booster seats’’ and discussed booster                 standard.                                              F2640–17ε1).12 13 ASTM F2640–
                                             seat combination products. The final                    C. IRFA Issues Raised in the Public                      12 The Juvenile Products Manufacturers
                                             rule would cover these products when                    Comments                                               Association (JPMA) has certification programs for
                                                                                                                                                            several durable infant products with voluntary
                                                9 Tab D of Staff’s Final Rule Briefing Package         The IRFA requested public feedback                   ASTM standards. Typically, JPMA’s certification
                                             contains the complete Final Regulatory Flexibility      on three questions:                                    program has a 6-month delay between publication
                                             Analysis for this final rule.                             1. What actions might firms take to                  of a new ASTM voluntary standard and its adoption
                                                10 The Juvenile Products Manufacturers
                                                                                                     bring their booster seats into compliance              for compliance testing under their program.
                                             Association (JPMA) has certification programs for                                                              Published in March 2017, ASTM F2640–17ε1 went
                                                                                                     with the proposed rule? What costs
daltland on DSKBBV9HB2PROD with RULES




                                             several durable infant products with voluntary                                                                 into effect, for JPMA testing purposes, in September
                                             ASTM standards. Typically, JPMA’s certification         might be associated with those actions?                2017. ASTM F2640–18 will be in effect for JPMA
                                             program has a 6-month delay between the                                                                        testing before the mandatory booster seat standard
                                             publication of a new ASTM voluntary standard and          11 These cost estimates are for testing compliance   goes into effect. Therefore, compliant firms are
                                             its adoption for compliance testing under their         with the physical or mechanical requirements in        expected to remain compliant.
                                             program. Published in March 2017, ASTM F2640–           the standard only. Manufacturers and importers of        13 In this case, four of the firms with compliant

                                             17ε1 went into effect for JPMA-testing purposes in      booster seats are already subject to third party       booster seats are part of JPMA’s certification
                                             September 2017.                                         testing requirements with respect to lead content.     program, while the other four firms claim



                                        VerDate Sep<11>2014   17:54 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00016   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                                                  Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations                                          30847

                                             18, the version of the voluntary standard               that small importers, like manufacturers               seats. However, the Commission cannot
                                             upon which the final rule is based, for                 whose booster seats already comply                     rule out a significant economic impact
                                             JPMA certification testing purposes, will               with the voluntary standard currently in               for any of the 19 suppliers of
                                             be in effect in November 2018. The new                  effect for testing purposes, will remain               noncompliant booster seats (11
                                             version of the standard (ASTM F2640–                    compliant with the voluntary standard                  manufacturers, seven importers, and
                                             18) addresses booster seats that hang                   as it evolves, because these small                     one unknown type).
                                             from the back of the adult chair and                    importers follow the standard
                                             ensures that the maximum booster seat                   development process. Therefore, these                  F. Efforts To Minimize the Impact on
                                             dimensions test is performed while in                   firms are likely already to be in                      Small Entities
                                             the manufacturer’s recommended                          compliance, and the final rule should                     The NPR proposed an effective date
                                             installation configuration. In general,                 not have a significant impact on either                12 months after the publication of the
                                             the Commission expects that small                       of the small importers with compliant                  final rule in the Federal Register. CPSC
                                             manufacturers whose booster seats                       booster seats. Any third party testing                 received two comments requesting a
                                             already comply with the voluntary                       costs for importers of compliant booster               later effective date, including one from
                                             standard currently in effect for testing                seats would be limited to the                          a food-service booster seat manufacturer
                                             purposes will remain compliant with                     incremental costs associated with third                who requested a 2-year effective date,
                                             the voluntary standard as it evolves,                   party testing beyond their current                     stating they needed more time to
                                             because they follow, and in five cases,                 testing regime. Staff does not expect                  develop and build the new tooling that
                                             actively participate in, the development                significant impacts to result from                     would be required to meet the
                                             of the ASTM voluntary standard.                         incremental testing costs.                             mandatory standard. As discussed in
                                             Therefore, for these small                                                                                     sections V (comment 6) and IX of this
                                                                                                     b. Small Importers With Noncompliant
                                             manufacturers, compliance with the                                                                             preamble, the Commission agrees that a
                                                                                                     Booster Seats
                                             voluntary standard is part of an                                                                               later effective date would reduce the
                                             established business practice. As such,                    Staff does not have sufficient                      economic impact of the final rule on
                                             the Commission does not expect the                      information to rule out a significant                  firms. Firms would have more time to
                                             final rule to have a significant impact on              impact from the final rule for any of the              adjust their designs and tooling and
                                             any of the eight small manufacturers                    seven importers with noncompliant                      thus, less likely to experience a lapse in
                                             with booster seats expected to meet the                 booster seats. The economic impact on                  production/importation, which could
                                             requirements of the voluntary standard.                 importers depends on the extent of the                 result if they were unable to produce or
                                             Additionally, because these firms                       changes required to come into                          locate suppliers within the required
                                             already test to the ASTM standard, the                  compliance and the responses of their                  timeframe. Additionally, firms could
                                             Commission expects that any third party                 supplying firms, which staff cannot                    spread these costs of compliance over a
                                             testing costs will be minimal.                          generally determine for noncompliant                   longer time period, thereby reducing
                                                                                                     importers. Third party testing and                     their annual costs, as well as the present
                                             b. Small Manufacturers With                             certification to the final rule could
                                             Noncompliant Booster Seats                                                                                     value of their total costs. To help reduce
                                                                                                     impose significant costs for three of the              the impact on all small firms, as well as
                                                Eleven small manufacturers produce                   seven firms with booster seats believed
                                             booster seats that do not comply with                                                                          specifically reduce the potential burden
                                                                                                     not to comply with the ASTM standard.                  on firms using molds that may require
                                             the voluntary standard, five of which                   However, third party testing costs are
                                             produce food-service booster seats, and                                                                        iterative designs to meet the standard,
                                                                                                     unlikely to be greater than 1 percent of               particularly where some work is
                                             six that produce booster seats for home                 the firms’ gross revenues for the
                                             use. CPSC staff cannot determine the                                                                           conducted overseas, the final rule
                                                                                                     remaining four firms.                                  provides an 18-month effective date.
                                             extent of the changes and the cost of the
                                             changes required for the booster seats of               3. Small Unknown Firm Type With
                                                                                                                                                            G. Small Business Impacts of the
                                             these 11 firms to come into compliance                  Noncompliant Booster Seats
                                                                                                                                                            Accreditation Requirements for Testing
                                             with the final rule. For all 11 small                      For one firm identified as a supplier               Laboratories
                                             manufacturing firms producing booster                   of noncompliant booster seats in the
                                             seats that do not meet the voluntary                    U.S. market, staff is unable to determine                 In accordance with section 14 of the
                                             standard, the cost of redesigning the                   whether the firm is a manufacturer or an               CPSA, all children’s products that are
                                             products could exceed 1 percent of the                  importer, and thus, staff does not have                subject to a children’s product safety
                                             firm’s revenue. Overall, staff cannot rule              sufficient information to rule out the                 rule must be tested by a CPSC-accepted
                                             out a significant economic impact on                    possibility that modifications required                third party conformity assessment body
                                             any of the 11 small manufacturers                       to come into compliance with the rule                  (i.e., testing laboratory) for compliance
                                             producing noncompliant booster seats.                   could result in a significant impact (i.e.,            with applicable children’s product
                                             Additionally, of 11 firms, staff estimates              greater than 1 percent of revenues) on                 safety rules. Testing laboratories that
                                             that the impact of third party testing                  this small noncompliant firm.                          want to conduct this testing must meet
                                             could result in significant costs for six                                                                      the notice of requirements (NOR)
                                                                                                     4. Summary of Impacts                                  pertaining to third party conformity
                                             firms.
                                                                                                        The Commission is aware of 29 small                 testing. NORs have been codified for
                                             2. Small Importers                                      firms, including 19 domestic                           existing rules at 16 CFR part 1112 (1112
                                             a. Small Importers With Compliant                       manufacturers, nine domestic importers,                rule). Consequently, the Commission
                                             Booster Seats                                           and one firm of unknown type,                          will amend the 1112 rule to establish
                                                                                                     currently marketing booster seats in the               the NOR for testing laboratories that
daltland on DSKBBV9HB2PROD with RULES




                                                Staff identified two booster seat                                                                           want accreditation to test for
                                                                                                     United States. Based on the foregoing,
                                             importers currently in compliance with                                                                         compliance with the booster seats final
                                                                                                     the Commission concludes that it is
                                             the voluntary standard. Staff expects                                                                          rule. This section assesses the impact of
                                                                                                     unlikely that there would be a
                                                                                                     significant economic impact on the                     the amendment on small laboratories.
                                             compliance based on testing performed to the
                                             ASTM standard performed outside of the JPMA             eight small manufacturers and two                         The Commission certified in the NPR
                                             certification program.                                  small importers of compliant booster                   that the proposed NOR would not have


                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00017   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                             30848                        Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations

                                             a significant impact on a substantial                                      substantial number of small                             Management and Budget (OMB) under
                                             number of small laboratories because:                                      laboratories.                                           the Paperwork Reduction Act of 1995
                                                • No requirements were imposed on                                                                                               (44 U.S.C. 3501–3520). The preamble to
                                                                                                                        XI. Environmental Considerations
                                             laboratories that did not intend to                                                                                                the proposed rule (82 FR 22932–33)
                                             provide third party testing services;                                        The Commission’s regulations address                  discussed the information collection
                                                • Only firms that anticipated                                           whether the agency is required to                       burden of the proposed rule and
                                             receiving sufficient revenue from the                                      prepare an environmental assessment or                  specifically requested comments on the
                                             mandated testing to justify accepting the                                  an environmental impact statement.                      accuracy of our estimates. OMB has not
                                             requirements would provide testing                                         Under these regulations, certain                        yet assigned a control number for this
                                             services; and                                                              categories of CPSC actions normally                     information collection. We did not
                                                • Most of these laboratories will                                       have ‘‘little or no potential for affecting             receive any comment regarding the
                                             already be accredited to test for                                          the human environment,’’ and therefore,                 information collection burden of the
                                             conformance to other juvenile product                                      they do not require an environmental                    proposal. However, the final rule makes
                                             standards, and the only costs to them                                      assessment or an environmental impact                   modifications regarding the information
                                             would be the cost of adding the                                            statement. Safety standards providing                   collection burden because the number
                                             children’s booster seats standard to their                                 requirements for products come under                    of estimated manufacturers subject to
                                             scope of accreditation.                                                    this categorical exclusion. 16 CFR                      the information collection burden is
                                                No substantive changes in these facts                                   1021.5(c)(1). The final rule for booster                now estimated at 46 manufacturers,
                                             have occurred since the NPR was                                            seats falls within the categorical                      rather than the 49 manufacturers
                                             published, and CPSC did not receive                                        exclusion.                                              initially estimated in the proposed rule,
                                             any comments regarding the NOR.                                                                                                    and the number of models tested has
                                                                                                                        XII. Paperwork Reduction Act
                                             Therefore, for the final rule, the                                                                                                 increased from two models in the NPR,
                                             Commission continues to certify that                                         The final rule for booster seats                      to three models for the final rule.
                                             amending part 1112 to include the NOR                                      contains information collection                           Accordingly, the estimated burden of
                                             for the booster seats final rule will not                                  requirements that are subject to public                 this collection of information is
                                             have a significant impact on a                                             comment and review by the Office of                     modified 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

                                             1237 .....................................................................................       46                   3              138               1             138



                                                Our estimate is based on the                                            Employee Compensation,’’ December                       definition of ‘‘burden’’ under the OMB’s
                                             following:                                                                 2017, Table 9, total compensation for all               regulations.
                                                Section 8.1 of ASTM F640–18                                             sales and office workers in goods-                        In compliance with the Paperwork
                                             requires that all booster seats and their                                  producing private industries: http://                   Reduction Act of 1995 (44 U.S.C.
                                             retail packaging be permanently marked                                     www.bls.gov/ncs/). Therefore, we
                                             or labeled as follows: The manufacturer,                                                                                           3507(d)), we have submitted the
                                                                                                                        estimate the annual cost to industry
                                             distributor, or seller name, place of                                                                                              information collection requirements of
                                                                                                                        associated with the labeling
                                             business (city, state, mailing address,                                    requirements in the final rule to be                    this final rule to the OMB.
                                             including zip code), and telephone                                         approximately $4,481 ($32.47 per hour                   XIII. Preemption
                                             number; and a code mark or other                                           × 138 hours = $4,480.86). This
                                             means that identifies the date (month                                      collection of information does not                         Section 26(a) of the CPSA, 15 U.S.C.
                                             and year as a minimum) of manufacture.                                     require operating, maintenance, or                      2075(a), provides that when a consumer
                                                CPSC is aware of 46 firms that supply                                   capital costs.                                          product safety standard is in effect and
                                             booster seats in the U.S. market. For                                        Section 9.1 of ASTM F2640–18                          applies to a product, no state or political
                                             PRA purposes, we assume that all 46                                        requires instructions to be supplied                    subdivision of a state may either
                                             firms use labels on their products and                                     with the product. Under the OMB’s                       establish or continue in effect a
                                             on their packaging already. All firms                                      regulations (5 CFR 1320.3(b)(2)), the                   requirement dealing with the same risk
                                             will need to make some modifications to                                    time, effort, and financial resources                   of injury unless the state requirement is
                                             their existing labels. We estimate that                                    necessary to comply with a collection of                identical to the federal standard. Section
                                             the time required to make these                                            information that would be incurred by                   26(c) of the CPSA also provides that
                                             modifications is about 1 hour per                                          persons in the ‘‘normal course of their
                                                                                                                                                                                states or political subdivisions of states
                                             model. Each of the 46 firms supplies, on                                   activities’’ are excluded from a burden
                                                                                                                        estimate, where an agency demonstrates                  may apply to the Commission for an
                                             average, test slightly more than 2.5
                                                                                                                        that the disclosure activities required to              exemption from this preemption under
                                             different models of booster seats per
                                             year. Accordingly, for this estimate we                                    comply are ‘‘usual and customary.’’ We                  certain circumstances. Section 104(b) of
                                             round the number of models to three.                                       are unaware of booster seats that                       the CPSIA refers to the rules to be
                                             Therefore, we estimate the burden hours                                    generally require use instructions but                  issued under that section as ‘‘consumer
                                                                                                                        lack such instructions. Therefore, we                   product safety rules.’’ Therefore, the
daltland on DSKBBV9HB2PROD with RULES




                                             associated with labels to be 138 hours
                                             annually (1 hour × 46 firms × 3 models                                     estimate that no burden hours are                       preemption provision of section 26(a) of
                                             per firm = 138 hours annually).                                            associated with section 9.1 of ASTM                     the CPSA applies to this final rule
                                                We estimate the hourly compensation                                     F2640–18, because any burden                            issued under section 104.
                                             for the time required to create and                                        associated with supplying instructions
                                             update labels is $32.47 (U.S. Bureau of                                    with booster seats would be ‘‘usual and
                                             Labor Statistics, ‘‘Employer Costs for                                     customary’’ and not within the


                                        VerDate Sep<11>2014         16:46 Jun 29, 2018         Jkt 244001      PO 00000        Frm 00018   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                                                  Federal Register / Vol. 83, No. 127 / Monday, July 2, 2018 / Rules and Regulations                                                  30849

                                             List of Subjects                                        Consumer Product Safety Commission,                    before us on behalf of Social Security
                                                                                                     Room 820, 4330 East-West Highway,                      beneficiaries and claimants ethically
                                             16 CFR Part 1112
                                                                                                     Bethesda, MD 20814, telephone: 301–                    and conscientiously assist their clients,
                                               Administrative practice and                           504–7923, or at the National Archives                  we are concerned that some
                                             procedure, Audit, Consumer protection,                  and Records Administration (NARA).                     representatives are using our processes
                                             Reporting and recordkeeping                             For information on the availability of                 in a way that undermines the integrity
                                             requirements, Third party conformity                    this material at NARA, call 202–741–                   of our programs and harms claimants.
                                             assessment body.                                        6030, or go to: www.archives.gov/                      Accordingly, we are clarifying that
                                             16 CFR Part 1237                                        federal-register/cfr/ibr-locations.html.               certain actions are prohibited, and we
                                                                                                                                                            are providing additional means to
                                               Consumer protection, Imports,                         Alberta E. Mills,
                                                                                                                                                            address representative actions that do
                                             Incorporation by reference, Infants and                 Secretary, Consumer Product Safety                     not serve the best interests of claimants.
                                             children, Labeling, Law enforcement,                    Commission.
                                                                                                                                                              On August 16, 2016,1 we published a
                                             and Toys.                                               [FR Doc. 2018–14133 Filed 6–29–18; 8:45 am]
                                                                                                                                                            Notice of Proposed Rulemaking (NPRM)
                                               For the reasons discussed in the                      BILLING CODE 6355–01–P                                 in the Federal Register in which we
                                             preamble, the Commission amends 16                                                                             proposed clarifications and revisions to
                                             CFR parts 1112 and 1237 as follows:                                                                            our rules of conduct for representatives.
                                                                                                     SOCIAL SECURITY ADMINISTRATION                         To the extent that we adopt a proposed
                                             PART 1112—REQUIREMENTS                                                                                         change as final without revision, and we
                                             PERTAINING TO THIRD PARTY                               20 CFR Parts 404 and 416                               already discussed at length the reason
                                             CONFORMITY ASSESSMENT BODIES                            [Docket No. SSA–2013–0044]                             for and details of the proposal, we will
                                             ■ 1. The authority citation for part 1112                                                                      not repeat that information here.
                                                                                                     RIN 0960–AH63
                                             continues to read as follows:                                                                                    In response to the NPRM, we received
                                                                                                     Rules of Conduct and Standards of                      154 timely submitted comments that
                                               Authority: 15 U.S.C. 2063; Pub. L. 110–                                                                      addressed issues within the scope of our
                                             314, section 3, 122 Stat. 3016, 3017 (2008).            Responsibility for Appointed
                                                                                                     Representatives                                        proposed rules. Based on those
                                             ■ 2. Amend § 1112.15 by adding                                                                                 comments, we are modifying some of
                                             paragraph (b)(47) to read as follows:                   AGENCY:    Social Security Administration.             our proposed changes to address
                                             § 1112.15 When can a third party                        ACTION:   Final rules.                                 concerns that commenters raised. We
                                             conformity assessment body apply for                                                                           have also made editorial changes
                                                                                                     SUMMARY:    We are revising our rules of               consistent with plain language writing
                                             CPSC acceptance for a particular CPSC rule
                                             and/or test method?
                                                                                                     conduct and standards of responsibility                requirements. We made conforming
                                                                                                     for representatives. We are also                       changes in other sections not originally
                                             *     *    *    *      *                                updating and clarifying the procedures
                                               (b) * * *                                                                                                    edited in the NPRM. Finally, we made
                                                                                                     we use when we bring charges against                   changes to ensure correct paragraph
                                               (47) 16 CFR part 1237, Safety
                                                                                                     a representative for violating these rules             punctuation in §§ 404.1740 and
                                             Standard for Booster Seats.
                                                                                                     and standards. These changes are                       416.1540; a nomenclature change to
                                             *     *    *    *      *                                necessary to better protect the integrity
                                             ■ 3. Add part 1237 to read as follows:
                                                                                                                                                            reflect the organization of our agency in
                                                                                                     of our administrative process and to                   §§ 404.1765(b)(1) and 416.1565(b)(1);
                                                                                                     further clarify representatives’ existing              and updated a cross-reference in
                                             PART 1237—SAFETY STANDARD FOR                           responsibilities in their conduct with
                                             BOOSTER SEATS                                                                                                  §§ 404.1755 and 416.1555 that refers to
                                                                                                     us. The revisions should not be                        §§ 404.1745 and 416.1545, sections
                                             Sec.                                                    interpreted to suggest that any specific               reorganized and rewritten in the NPRM
                                             1237.1     Scope.                                       conduct was permissible under our                      and codified in the final rule.
                                             1237.2     Requirements for booster seats.              rules prior to these changes; instead, we
                                               Authority: Sec. 104, Pub. L. 110–314, 122             seek to ensure that our rules of conduct               Public Comments and Discussion
                                             Stat. 3016 (August 14, 2008); Sec. 3, Pub. L.           and standards of responsibility are                      Comment: Some commenters
                                             112–28, 125 Stat. 273 (August 12, 2011).                clearer as a whole and directly address                suggested that our proposed rules would
                                                                                                     a broader range of inappropriate                       deter potential representatives from
                                             § 1237.1    Scope.                                      conduct.                                               representing claimants in Social
                                               This part establishes a consumer                      DATES: These final rules will be effective             Security matters.
                                             product safety standard for booster                     August 1, 2018.                                          Response: These rules reflect our
                                             seats.                                                                                                         interest in protecting claimants and
                                                                                                     FOR FURTHER INFORMATION CONTACT:
                                             § 1237.2    Requirements for booster seats.             Sarah Taheri, Office of Appellate                      ensuring the integrity of our
                                                Each booster seat must comply with                   Operations, Social Security                            administrative process, and they do not
                                             all applicable provisions of ASTM                       Administration, 5107 Leesburg Pike,                    impose unreasonable standards of
                                             F2640–18, Standard Consumer Safety                      Falls Church, VA 22041, (703) 605–                     conduct. These additional rules of
                                             Specification for Booster Seats                         7100. For information on eligibility or                conduct should not deter competent,
                                             (approved on April 1, 2018). The                        filing for benefits, call our national toll-           knowledgeable, and principled
                                             Director of the Federal Register                        free number, 1–800–772–1213 or TTY                     representatives.
                                             approves this incorporation by reference                1–800–325–0778, or visit our internet                    Comment: Some commenters objected
                                             in accordance with 5 U.S.C. 552(a) and                  site, Social Security Online, at http://               to the provision in proposed
daltland on DSKBBV9HB2PROD with RULES




                                             1 CFR part 51. You may obtain a copy                    www.socialsecurity.gov.                                § 404.1705(b)(4) and 416.1505(b)(4),
                                             from ASTM International, 100 Bar                                                                               which includes ‘‘persons convicted of a
                                                                                                     SUPPLEMENTARY INFORMATION:
                                             Harbor Drive, P.O. Box 0700, West
                                             Conshohocken, PA 19428; http://                         Background                                               1 81 FR 54520. https://www.federalregister.gov/

                                                                                                                                                            documents/2016/08/16/2016-19384/revisions-to-
                                             www.astm.org. You may inspect a copy                      Although the vast majority of                        rules-of-conduct-and-standards-of-responsibility-
                                             at the Office of the Secretary, U.S.                    representatives conducting business                    for-appointed-representatives.



                                        VerDate Sep<11>2014   16:46 Jun 29, 2018   Jkt 244001   PO 00000   Frm 00019   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1



Document Created: 2018-06-30 00:17:47
Document Modified: 2018-06-30 00:17:47
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule will become effective January 2, 2020. The incorporation by reference of the publication listed in this rule is approved by the Director of the Federal Register as January 2, 2020.
ContactKeysha Walker, Lead Compliance Officer, U.S. Consumer Product Safety Commission, 4330 East-West Highway, Bethesda, MD 20814; telephone: 301-504-6820; email: [email protected]
FR Citation83 FR 30837 
CFR Citation16 CFR 1112
16 CFR 1237
CFR AssociatedAdministrative Practice and Procedure; Audit; Consumer Protection; Reporting and Recordkeeping Requirements; Third Party Conformity Assessment Body; Imports; Incorporation by Reference; Infants and Children; Labeling; Law Enforcement and Toys

2025 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR