Consumer Product Safety Commission Reauthorization: Hearing Before the Subcommittee on Commerce, Consumer Protection, and Competitiveness of the Committee on Energy and Commerce, House of Representatives, One Hundredth Congress, First Session, June 4, 1987, Part 1U.S. Government Printing Office, 1988 - 393 pages |
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Page 1
... reason for us having to delay the meeting . As I think many of you who track our committee meetings know , we try to be as punctual as possible , and usually are , and it is only under extraordinary circumstances that we have such ...
... reason for us having to delay the meeting . As I think many of you who track our committee meetings know , we try to be as punctual as possible , and usually are , and it is only under extraordinary circumstances that we have such ...
Page 10
... reasons less than this . " Consumer product safety laws require that the darts beOfficials at the company that packaged with warnings that they manufactured the dart that struck are not toys for children , and that Michele Snow have ...
... reasons less than this . " Consumer product safety laws require that the darts beOfficials at the company that packaged with warnings that they manufactured the dart that struck are not toys for children , and that Michele Snow have ...
Page 19
... reason I mention these figures is that concerns have been expressed about the extent to which the Commission relies ... reasons why voluntary action is prefer- able to mandatory rulemaking or compulsory enforcement . First , as noted in ...
... reason I mention these figures is that concerns have been expressed about the extent to which the Commission relies ... reasons why voluntary action is prefer- able to mandatory rulemaking or compulsory enforcement . First , as noted in ...
Page 22
... reason I mention those figures is that concerns have been expressed about the extent to which the Commission relies ... reasons why voluntary action is preferable to mandatory rule- making or compulsory enforcement . First , as noted ...
... reason I mention those figures is that concerns have been expressed about the extent to which the Commission relies ... reasons why voluntary action is preferable to mandatory rule- making or compulsory enforcement . First , as noted ...
Page 24
... Reasons given for such suggestions include cost and efficiency considerations , as well as overall management . If the concern is cost , a three - member collegial structure already produces savings of at least $ 500,000 annually over a ...
... Reasons given for such suggestions include cost and efficiency considerations , as well as overall management . If the concern is cost , a three - member collegial structure already produces savings of at least $ 500,000 annually over a ...
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Common terms and phrases
ACRYLIC action AEROSOL agency AMACO American Art Clay ANACO animal testing art and craft Art Clay American art materials art supplies artists attorneys BALL GLOVE BALL Binney & Smith cancer Ceramichrome Chairman chronic hazard labeling Clay American Art CLEATED SHOE Commissioners compliance Congress Consumer Product Safety contain cost-benefit analysis CPSC CPSC's craft materials CRAYOLA DAWSON death develop Dixon Ticonderoga Dixon Ticonderoga Dixon Draize test Duncan Enterprises Duncan ECKART enforcement Enterprises Duncan Enterprises Federal FHSA FLORIO game set GLOVE BALL GLOVE Golden Artists Colors Grumbacher Hazardous Substances Hunt Manufacturing industry injuries LACY lawn darts LIQUITEX Martin/P Michele Snow Newton Winsor NIELSON paints PF FLYER PITTLE problem Product Safety Commission question reauthorization regulations regulatory responsible REVARD risk Riverside rulemaking SCANLON schools SHIVA single administrator Snow SPEEDBALL staff statement subcommittee toxic Veber Vinsor & Newton voluntary standards warning Weber Zipatone
Popular passages
Page 37 - Chairman, the executive and administrative functions of the Commission, including functions of the Commission with respect to (1) the appointment and supervision of personnel employed under the Commission, (2) the distribution of business among such personnel and among administrative units of the Commission, and (3) the use and expenditure of funds.
Page 1 - HOUSE OF REPRESENTATIVES, COMMITTEE ON ENERGY AND COMMERCE, SUBCOMMITTEE ON COMMERCE, CONSUMER PROTECTION, AND COMPETITIVENESS, Washington, DC. The subcommittee met, pursuant to notice, at 11 am, in room 2322, Rayburn House Office Building, Hon.
Page 37 - Commission, and (3) the use and expenditure of funds. (b) (1) In carrying out any of his functions under the provisions of this section the Chairman shall be governed by general policies of the Commission and by such regulatory decisions, findings, and determinations as the Commission may by law be authorized to make.
Page 180 - Control; the Agency for Toxic Substances and Disease Registry; the Food and Drug Administration; the Health Resources and Services Administration; the National Institutes of Health; the Indian Health Service; and the Agency for Health Care Policy and Research.
Page 180 - Administration, in conjunction with the Health Resources and Services Administration and the National Institutes of Health, should...
Page 78 - toxic" shall apply to any substance (other than a radioactive substance) which has the capacity to produce personal injury or illness to man through ingestion, inhalation, or absorption through any body surface.
Page 189 - If there is no further business to come before the committee, the committee stands adjourned. [Whereupon, at...
Page 239 - ... means a display of written, printed, or graphic matter upon a leaflet or suitable material accompanying the art material. This requirement is in addition to, and is not meant to supersede, the requirement of paragraph 5.8 of the standard designated D-4236. (8) In determining whether an art material has the potential for producing chronic adverse health effects, including carcinogenicity and potential carcinogenicity, a toxicologist shall take into account opinions of various regulatory agencies...
Page 1 - Act are — (1) to protect the public against unreasonable ] risks of injury associated with consumer products: (2) to assist consumers in evaluating the comparative safety of consumer products; (3) to develop uniform safety standards for consumer products and to minimize conflicting State and local regulations; and...
Page 66 - It is generally expected that the determination of unreasonable hazard will involve the Commission in balancing the probability that risk will result in harm and the gravity of such harm against the effect on the product's utility, cost, and availability to the consumer"); S.