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Section 105. Labeling Requirement for Advertising Toys and Games


Brief Summary

The packaging for certain toys and games intended for use by children is required to contain a label, or cautionary statement, regarding choking hazards. This section of the new law requires that advertising for these products which provide a direct means of purchase or order of the product must contain an appropriate cautionary statement. When a product’s packaging requires a cautionary statement, the advertising for the product, including Internet sites and catalogues, must bear the same cautionary statement. There are requirements as to the layout, type, language, color, and placement of the statement. The requirements are treated as a consumer product safety standard issued under section 9 of the CPSA.

Manufacturers, importers, distributors, or private labelers, of such products must inform retailers if a cautionary statement is required. Conversely, retailers have a duty to ask the manufacturer, importer, distributor, or private labeler if a cautionary label is required for a particular product. If the retailer asks and receives no information or false information, the retailer is not liable.

Effective Date: The requirement with respect to advertisements on Internet websites is effective 120 days after enactment or December 12, 2008. The requirement with respect to catalogues and other printed materials is effective 180 days after enactment or February 10, 2009.

Comments: Comments on this section of the legislation have been requested on our web site at http://www.cpsc.gov/businfo/frnotices/fr09/irtgadv.html.

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Records of Commission Action, Ballot Votes, and Staff Briefing Packages

Staff Memo, Notice of Proposed Rulemaking: Labeling Requirement for Toy and Game Advertisements, September 23, 2008 [PDF]

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Public Comments

Labeling Requirement for Advertising Toys and Games [PDF]

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Frequently Asked Questions (FAQs)

Will there be a petition process to extend the grace period for catalogues and other printed materials to comply with the requirements of section 105 of the CPSIA?

What warnings are required to be posted on a company Internet website, and for which toys?

Do the advertising requirements of section 105 of the CPSIA apply to toys manufactured for children under three years old, in which there are no choking hazards?

How do we comply with the advertising warning requirements in catalogues and other printed materials? Will abbreviated warnings be permissible?

With regard to Section 105 of the CPSIA’s advertising requirements for Internet toy sales, will the CPSC extend the December 12, 2008 deadline applicable to Internet advertisements?

In our catalogue we have a page on which many, but not all, of the products require a choking hazard warning. May we put the complete choking hazard warning at the top of the page but specify which products it does not apply to?

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For more information on the CPSIA contact the Consumer Product Safety Commission at http://www.cpsc.gov/cgibin/newleg.aspx.

This document is an unofficial description of one of the sections of the CPSIA and does not replace or supersede the statutory requirements of the new legislation. The dates used follow the legislation. Some may be subject to change based on final Commission action. These summaries are those of the CPSC staff and have not been reviewed or approved by, and may not necessarily reflect the views of the Commission.