Universal Lighting Systems
Proposed Rule Extending the Effective Date For the New Lamp Requirements in the Appliance Labeling Rule, FTC Rule No. R611004
I have reviewed the documents regarding the request for extension on this ruling and agree that an extension should take place. As a small company to make such changes so quickly will only consume us and financial resources we do not have and need to plan out further. Regarding the labeling requirement for incandescent bulbs in use today, 100% agree the new labeling should not apply here. The general public already is aware this type of lamp is a waste of energy and to make changes on something that is going away is a waste of resources for all. Focus on the future and let the past fade away in this instance, we have learned from the past lets take that education and move forward.