A landmark new law—the Consumer Product Safety Improvement Act of 2008 (CPSIA or the “Act”)—has been in effect for only four months, but is already having a dramatic impact on a wide swath of American industry; namely, all firms involved in making, importing and selling consumer products.1
In short, every company that is involved with consumer products, and certainly every company involved with making or selling “children’s products,”2 must understand and respond to this new law or face significant new civil and criminal liability, including maximum civil penalties of $15 million and felony prosecution for willful violations of safety standards and prohibited acts. In addition, all 50 state attorneys general are now empowered to enforce not only their own rapidly expanding number of state product safety laws and regulations, but also all Consumer Product Safety Commission (CPSC) administered safety standards and several specified prohibited acts, many of which go into effect the first few months of 2009. In the wake of “the year of the recall” with many well-publicized toy and other product safety issues, many attorneys general (notably including those in CA, IL, NY, MA, CT, MI, DE, NJ and MD, among others) have made no secret of the fact that product safety is now a priority of their enforcement agendas.
As part of the Antitrust and Federal Regulation Section, Mintz Levin has assembled a team that is virtually unrivaled in the world in first-hand experience with CPSC-administered laws and regulations, in our ability to advise and assist clients to anticipate and respond to compliance issues under the new Act, and in experience with product safety issues generally. Chuck Samuels has represented clients in the product safety arena, including home appliance manufacturers, for almost 30 years and was a leader in the industry group that worked on the legislation. And new Of Counsel, Quin Dodd, as Chief of Staff at the CPSC, led the team that negotiated the provisions of the Act on behalf of the agency. We are presently advising trade associations, manufacturers, retailers, importers and testing labs on the new law to not only prevent problems from arising but also on how to capitalize on new opportunities the CPSIA may present.
Areas in which we can advise and assist clients include:
Feel free to contact one of the attorneys listed above for further information on this or any CPSC-related topic. We'd be pleased to assist you with any concerns you may have.
Endnotes
1Consumer products under the jurisdiction of the U.S. Consumer Product Safety Commission are defined broadly as effectively anything sold to consumers for personal, home, recreational or school use, other than those products under the direct jurisdiction of another agency (e.g., food, drugs, cosmetics and medical devices; guns and alcohol; or vehicles). See Consumer Product Safety Act, 15 U.S.C. § 2052(a)(5).
2 “Children’s products” are likewise broadly defined as all consumer products “primarily intended” for children age 12 and under. See Consumer Product Safety Improvement Act of 2008, Pub. L. No. 110-314, § 235(a) (2008).
For assistance in this area, please contact one of the attorneys listed below or any member of your Mintz Levin client service team.
Charles A. Samuels
(202) 434-7311
CASamuels@mintz.com
Quin Dodd
(202) 434-7435
QDodd@mintz.com