Proposition 65 Exposure/Averaging Changes – Update

Further to our previous blog that discussed OEHHA’s proposed changes to how concentration levels are to be calculated between lots of products from different manufacturing sites and averaging calculations for reproductive toxins, OEHHA has published an update that it will not be proceeding with the proposed changes.

 

This will be a welcomed decision by companies, as the proposed changes would have created a number of increased and excessive regulatory burdens without improving the safety of their products.

 

It appears that OEHHA took note of the many comments it received on the topic from a wide range of stakeholders. A sense of reason has prevailed (at least in this case).

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