Comment Submissions - Notice of Proposed Rulemaking: Amendments to Article 6, Clear and Reasonable Warnings Short-form Warnings

Comment by: 
Christina King
Received on: 
03/15/2021 - 2:54pm
Comment: 
Director Zeise, My company respectfully urges OEHHA to withdraw the proposed rule. My company relied on OEHHA’s 2018 regulation which provided the option of a short-form warning label. OEHHA is now forcing my company to retool and reprint product labels, revise the website, update catalogs, and instruct distributors and retailers. The proposed change has not been sufficiently justified and OEHHA has not acknowledged the costs being imposed.Prop 65 offers an exemption for companies less than 10 employees. That is meaningless for most companies including my own. OEHHA’s Prop 65 regulations are unique in the United States. The agency has created a de facto national standard. OEHHA should be more judicious in creating labeling obligations and legal exposures. It is hard to understand how OEHHA could be threatening to impose unwarranted economic burdens during a pandemic. My company respectfully urges OEHHA to withdraw the proposed rule. Christina King