Frequently Asked Questions for the Canada Consumer Product Safety Act

A. The number of recalls in Canada has increased every year for the last several years. Health Canada expects that the rate of increase will likely remain more or less the same.

Health Canada has a long history of working collaboratively with industry to have unsafe consumer products removed from the marketplace. It is expected that recalls - when necessary - would likely continue to be undertaken on a voluntary basis by industry in most cases.

Q. Where can I find the text of the Canada Consumer Product Safety Act?

A. The text of the Canada Consumer Product Safety Act can be found on the Justice Laws Website.

Q. Does my product fall under the Canada Consumer Product Safety Act?

A. Under the Canada Consumer Product Safety Act (CCPSA) a "consumer product" is defined as a product, including its components, parts or accessories that may reasonably be expected to be obtained by an individual to be used for non-commercial purposes, including for domestic, recreational and sports purposes, and includes its packaging.

Section 4 of the Act outlines the consumer products to which the CCPSA does not apply, including those listed in Schedule I. These include products that are covered under other legislation such as food, cosmetics, medical devices, drugs, natural health products, pest control products, fertilizers and vehicles. Tobacco products are also excluded, except with respect to their ignition propensity - i.e., their flammability properties.

Q. Is Health Canada considering adding certain products to the list of products to which the Canada Consumer Product Safety Act does not apply?

A. Section 4 of the Canada Consumer Product Safety Act (CCPSA) outlines the consumer products to which the CCPSA does not apply, including those listed in Schedule I. These include products that are covered under other legislation such as food, cosmetics, medical devices, drugs, natural health products, pest control products, fertilizers and vehicles. Tobacco products are also excluded, except with respect to their ignition propensity - i.e., their flammability properties.

At this time, Health Canada is not considering adding more consumer products to Schedule I of the Act.

Q. What is the policy on the acceptability of test reports and test labs? What about tests already done?

A. Suppliers of consumer products are responsible for ensuring the products they place on the Canadian market comply with the Canada Consumer Product Safety Act ( CCPSA ).

There are no specific certification requirements under the CCPSA for laboratories that conduct tests on consumer products. However, the following practices are recommended to help ensure that test results, if requested, will provide the necessary information for the purposes of the CCPSA :

Testing that was carried out prior to coming into force of the CCPSA may be acceptable if it meets the criteria above and can be traced to the products under review.

Q. Under the Canada Consumer Product Safety Act, how does Health Canada determine whether a recall is necessary, and the scope of the recall?

A. The Canada Consumer Product Safety Act (CCPSA) introduced a new provision relating to recalls under subsection 31(1), which grants the Minister the authority to order a recall if he or she "believes on reasonable grounds that a consumer product is a danger to human health or safety".

Consumer product recalls are one of several measures that can be taken to address a danger in the marketplace. In the event that a danger must be addressed, product safety officers will work directly with industry to determine what corrective measures are appropriate for industry to achieve compliance. Each incident will be evaluated on a case-by-case basis, taking into account factors such as the nature of the hazard, the severity of reported or potential incidents and the number of products sold to consumers.

Health Canada will work to achieve industry compliance with the CCPSA , including ordering recalls where appropriate. It is expected that recalls - when necessary - would continue to be undertaken on a voluntary basis by industry.

General prohibition

Q: What is the general prohibition?

A: The general prohibition (GP) is set out in sections 7(a) and 8(a) of the Canada Consumer Product Safety Act (CCPSA). It applies to all consumer products to which the CCPSA applies and is fundamental to the purpose of the Act, which is to protect the public by addressing or preventing dangers to human health or safety that are posed by consumer products in Canada.

The GP prohibits manufacturers or importers from manufacturing, importing, advertising or selling a consumer product that is a danger to human health or safety, and prohibits any person from advertising or selling a consumer product that they know is a danger to human health or safety.

Definitions

Q. Does the definition of "import" include the importation of consumer products by an individual for personal use?

A. Yes. Any person who imports a consumer product for personal use would fall under the definition of "import" and would be required to comply with certain provisions of the Canada Consumer Product Safety Act (CCPSA).

For example, any person who imports, whether for commercial or personal use, must comply with sections 5 and 6 of the CCPSA . These provisions prohibit any person from importing into Canada consumer products listed in Schedule 2 of the CCPSA or consumer products that do not meet the requirements as set out in regulations.

However, there are certain provisions in the Act that apply to the import of consumer products only when the import is done for commercial purposes. Therefore, provisions such as those respecting preparing and maintaining documents (section 13) and mandatory incident reporting (section 14) do not apply to individuals importing consumer products for personal use.

Q. Does the Canada Consumer Product Safety Act apply to automotive tires?

A. No. Schedule 1 of the Canada Consumer Product Safety Act (CCSPA) includes a list of consumer products that are not subject to the CCPSA . One of the items lists vehicles as defined in section 2 of the Motor Vehicle Safety Act as well as vehicle parts that are integral to the vehicle, including a vehicle part that replaces or alters such a part.

Q. Am I required to meet the requirements of the Canada Consumer Product Safety Act if I distribute consumer products for promotional purposes (i.e. free giveaways) or in exchange for loyalty points?

A. Yes. A person who distributes consumer products for promotional purposes or in exchange for loyalty points is considered a person who "sells" under the Canada Consumer Product Safety Act. The definition of "sell" under the Act includes the distribution of a consumer product even when the distribution is not made for consideration, i.e., when the product is donated or given away at no cost. Therefore, anyone who distributes consumer products for no cost or in exchange for loyalty points is required to comply with those provisions of the Act that apply to the sale of consumer products.

In this context it is useful to remember that persons who sell consumer products for commercial purposes are required to keep certain documents.

Q. Are construction materials/plumbing components in a residential setting that are installed by professionals - and not available for direct sale to consumers - captured under the definition of a "consumer product"?

A. Generally, yes. Products that are obtained by an individual through professional installation can meet the definition of a "consumer product" under the Act.

Consultations

Q. Which stakeholders were included in consultations for the Canada Consumer Product Safety Act (CCPSA)?

A. Health Canada carried out extensive consultations during the development of the Canada Consumer Product Safety Act ( CCPSA ) and its implementation. These stakeholders included industry representatives, consumer groups, children's organizations, other levels of government and the general public.

Since the summer of 2010, Health Canada has consulted with the public on the following: