Export to the United States with new requirements

Corporate Incoming Calls: Recently, I heard that the CPSC Office of Compliance and Field Operations issued a letter stating that they are considering the use of children's homemade casual clothes as children's pajamas. Part 16 CFR part 1615 and 1616 of the Flammable Fabrics Act relating to the standard for the performance of children's pajamas. Excuse me, what specific projects do the companies need to pay attention to?

Humen Garment Enterprise Mr. Ma made a report: After consulting the relevant person in charge of the Dongguan Garment Industry Association, the reporter learned that this memo reaffirmed the CPSC's policy on home casual wear since 1996, and also stressed the new requirement, that is, homely Casual wear and pajamas must now meet the requirements of the Consumer Product Safety Improvement Act of 2008 (CPSIA).

Dongguan Garment Industry Association: These requirements include third-party testing, phthalate content, lead content, lead in surface coatings, and tracking labels. At the same time, it also emphasized that these requirements apply not only to physical retailers, but also to network vendors.

In addition, children's sleepwear burning performance standards 16 CFR 1615 and 1616 are more stringent than ordinary clothing burning standards. Children's sleepwear is not only required to be tested during the final garment phase but also during the cloth and pattern stages. Therefore, companies that export children's clothing to the United States must pay more attention and caution.

â–  Tips According to the CPSC regulations, "children's pajamas" refers to all garments (sizes 0-14) worn during sleep or sleep-related activities, such as pajamas and pyjamas, and similar or related items such as Robes, etc., but do not include the following three conditions:

(1) diapers and underwear.

(2) "Baby Costumes" for children up to 9 months of age.

(3) "tight-fitting clothing" that meets the specified maximum size.

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