Cautious Optimism: Stay of enforcement

A variety of news worth mentioning:

CPSC: The CPSC released a Stay of Enforcement of Testing and Certification Requirements; (pdf) dated January 30, 2009. A cursory examination shows they get it. As debated previously regarding the question of which definitions were likely to define a “small business”, they’re using the SBA’s. In the case of children’s wear apparel producers, this encompasses 99% of businesses. Also see the CPSC press release explaining the matter. Another legal source is The Smart Mama. Further updates are forthcoming.

Legislative: Senator Jim DeMint (R-SC) has announced he’s sponsoring legislation to amend the CPSIA. The bare bones of the plan are on his site; I’ll publish or link to final version once permitted to do so. Minimally, we extend a great deal of gratitude to Mr. DeMint and his legislative aides for crafting a proposal with the input of manufacturers. It is gratifying to be heard.

Retail: Anecdotal response from retailers has been mixed. Or rather, I should say one-sided. Retailers are concerned their liability has increased. All I’ve spoken to have said they intend to enforce existing CPSIA mandates on their vendors, requiring GCCs as previously stipulated.

Unresolved: Furthermore, extensive legal questions remain unresolved. There is little doubt special interest groups who promulgated this law’s passage will let yesterday’s stay of enforcement go unchallenged. Speaking of special interest groups, The National Association of Manufacturers (NAM) filed filed an emergency stay of effective date (pdf) on January 28th with 77 signatory associations.

Note: I will be going to Washington DC Monday February 2, through Wednesday February 4th. More news upon my return.

This fight is far from over.

Endorsement of the NAM Plan

On December 18, 2008, The National Association of Manufacturers (NAM) submitted an exhaustively inclusive 15 page document (pdf) in response to the CPSC’s request for comments. It is the position of this site to heartily endorse this plan. Furthermore, NAM is commended for their proactive action in this matter.

Other entities supporting the plan:

  • American Apparel & Footwear Association
  • Association of American Publishers
  • Book Manufacturers Institute, Inc.
  • Fashion Jewelry Trade Association
  • Juvenile Product Manufacturers Association
  • National Association of Manufacturers
  • National Association of Printing Ink Manufacturers
  • National Retail Federation
  • Retail Industry Leaders Association
  • Printing Industries of America
  • Specialty Graphic Imaging Association
  • Toy Industry Association
  • Fashion-Incubator.com

Feel free to comment if you’re not represented by one of these groups. For the greatest impact, consider printing the plan and mailing it to the address included in the header. Be sure to include your contact information with your statement that you support it.