인문학
사회과학
자연과학
공학
의약학
농수해양학
예술체육학
복합학
지원사업
학술연구/단체지원/교육 등 연구자 활동을 지속하도록 DBpia가 지원하고 있어요.
커뮤니티
연구자들이 자신의 연구와 전문성을 널리 알리고, 새로운 협력의 기회를 만들 수 있는 네트워킹 공간이에요.
학술저널
Full-text
오류 신고하기해당 페이지 내 제목·저자·목차·페이지정보가 잘못된 경우 알려주세요!
초록·키워드
The US Endocrine Disruptors Management Policy focuses on product regulation that contains the substance rather than on the substance itself. The US Endocrine Disruptors Screening Program (EDSP) is underway to identify endocrine disruptors, but there is still an ongoing analysis of what substances are environmental hormones and how they are affected.
Regarding the regulation of endocrine disruptor-containing products in the United States, I examined the regulation of phthalate-containing products in children’s products and the legislation on the regulation of BPA in food containers and bottles. The main basis for the regulation of phthalate-containing products in children’s products is the Consumer Product Safety Improvement Act(CPSIA). This Act aims specifically to prohibit the use of lead and phthalates in children’s products. Dec. 31, 2014. As CPSIA has been amended and applied to products manufactured and imported after April 25, 2018, DEHP, DBP, BBP and DINP have been banned and withdrawn from the temporary ban on DIDP and DNOP. In addition, four new phthalates (DIBP, DNPP, DNHP, DCHP) were identified as prohibited substances. CPSIA requires ⒜ third party certification from external testing agencies for children’s products, ⒝and it is mandatory to attach Tracking Labels on both products and packaging.
In the case of BPA regulation in food containers and bottles, 21 FR part 177 prohibits the use of polycarbonate in bottles, etc. Also in California, October 10, 2011, the Toxin-Free Infants and Toddlers Act came into effect, The use of baby bottles, infant drink cups, and feeding devices was prohibited. Nov. 2015 BPA is listed on the Prop. 65 list so that all bottled or bottled bottles sold in the state, not limited to infant bottles and dishes, and bottles or caps of food or beverages containing BPA Sales, and imports of products are prohibited. Prop. 65 lists the chemicals that can cause carcinogenesis and reproductive toxicity as a List and imposes an obligation to display an exposure warning and prohibit the discharge of drinking water sources if the substance exceeds the Safe Harbor Level(SHL).
The criteria for warning signs applied from August 30, 2018 are as follows. (A) be clear and reasonable; (b) be provided by the manufacturer, producer or packer, rather than by the retailer; (c) if no clear and clear warning is given on the packaging or labeling of the consumer product, It is necessary to fulfill a separate warning obligation to the consignee. Various warning methods such as consumer product labels, workplace covers, public service announcements, newspapers and online announcements can be utilized.
Regarding the regulation of endocrine disruptor-containing products in the United States, I examined the regulation of phthalate-containing products in children’s products and the legislation on the regulation of BPA in food containers and bottles. The main basis for the regulation of phthalate-containing products in children’s products is the Consumer Product Safety Improvement Act(CPSIA). This Act aims specifically to prohibit the use of lead and phthalates in children’s products. Dec. 31, 2014. As CPSIA has been amended and applied to products manufactured and imported after April 25, 2018, DEHP, DBP, BBP and DINP have been banned and withdrawn from the temporary ban on DIDP and DNOP. In addition, four new phthalates (DIBP, DNPP, DNHP, DCHP) were identified as prohibited substances. CPSIA requires ⒜ third party certification from external testing agencies for children’s products, ⒝and it is mandatory to attach Tracking Labels on both products and packaging.
In the case of BPA regulation in food containers and bottles, 21 FR part 177 prohibits the use of polycarbonate in bottles, etc. Also in California, October 10, 2011, the Toxin-Free Infants and Toddlers Act came into effect, The use of baby bottles, infant drink cups, and feeding devices was prohibited. Nov. 2015 BPA is listed on the Prop. 65 list so that all bottled or bottled bottles sold in the state, not limited to infant bottles and dishes, and bottles or caps of food or beverages containing BPA Sales, and imports of products are prohibited. Prop. 65 lists the chemicals that can cause carcinogenesis and reproductive toxicity as a List and imposes an obligation to display an exposure warning and prohibit the discharge of drinking water sources if the substance exceeds the Safe Harbor Level(SHL).
The criteria for warning signs applied from August 30, 2018 are as follows. (A) be clear and reasonable; (b) be provided by the manufacturer, producer or packer, rather than by the retailer; (c) if no clear and clear warning is given on the packaging or labeling of the consumer product, It is necessary to fulfill a separate warning obligation to the consignee. Various warning methods such as consumer product labels, workplace covers, public service announcements, newspapers and online announcements can be utilized.
인공지능 문자 인식 모델을 통해 추출된 텍스트로, 일부 오타나 오류가 포함될 수 있으나 지속적으로 개선 중입니다.
오류를 발견하셨다면 해당 부분을 드래그한 후 ' 를 통해 신고해주세요.
오류를 발견하셨다면 해당 부분을 드래그한 후 ' 를 통해 신고해주세요.
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UCI(KEPA) : I410-ECN-0101-2018-360-002233398