(CLOSED) Comments on Original Proposal for Amendments to Regulations Clear and Reasonable Warnings, Safe Harbor Methods and Content California Code of Regulations
Comment by:
Simply Sound ConsultingReceived on:
11/15/2023 - 5:01amComment:
I am opposed to this as your cost estimations per business are completely ficticious. If I have 500 products and my competitor has 50,000 products, the cost to repackage or re-label all of those items is much higher than your estimate. Also, as previously stated, you have no way to estimate exposure. The products are used differently by every individual. Exposure time, type of use, and the chemical involved all have different estimations. You would need large group studies on each and every chemical to prove safe usage levels.
This "rule" does nothing but create confusion and fear. It is a money making scheme. Nothing more.