[Code of Federal Regulations]
[Title 16, Volume 2]
[Revised as of January 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 16CFR1301.3]

[Page 368-370]
 
                     TITLE 16--COMMERCIAL PRACTICES
 
             CHAPTER II--CONSUMER PRODUCT SAFETY COMMISSION
 
PART 1301--BAN OF UNSTABLE REFUSE BINS--Table of Contents
 
Sec.  1301.3  Findings.

    (a) Risk of injury. The Commission has studied 19 in-depth 
investigation reports of accidents associated with tip-over of unstable 
refuse bins. The 19 accidents, which involved 21 victims, resulted in 13 
deaths. Of the 21 victims, 20 were children 10 years of age and under. 
Additionally, Commission records show three death certificates for 
victims, under 5 years of age, who were killed by refuse bins tipping 
over. Therefore, the Commission finds that unreasonable risks of injury 
or death from crushing due to tip-over are associated with certain 
unstable refuse bins having an internal volume one cubic yard or 
greater, which unreasonable risk this banning rule is designed to 
eliminate or reduce.
    (b) Products subject to this ban. (1) The Commission finds that the 
types of products subject to this ban are those manufactured metal 
receptacles known in the solid waste collection trade as containers, 
refuse bins, buckets, boxes or hoppers, with actual internal volumes of 
one cubic yard or greater, used for the storage and transportation of 
solid waste. They are fabricated in numerous sizes and configurations 
for use with rear, side, front, hoist and roll-off loaded trash 
collection trucks and are used by private firms and public agencies.
    (2) Although unstable refuse bins subject to this ban may be in 
various forms and shapes, the Commission's in-depth investigations into 
accidents associated with metal refuse containers indicate that most 
accidents have occurred with slant-sided metal refuse bins which are 
used by rear and side-loaded trucks. Therefore, the Commission bases its 
economic analysis of the potential impact of the ban upon the population 
of these bins. Certain refuse bins such as front loaded, roll-off, box 
and other types of large or broad based bins, because of their 
configuration, bulk and weight are likely to be inherently stable and 
are therefore not included in the population of potentially unstable 
bins studied in this economic analysis.

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    (3) The Commission estimates that there may be approximately 
638,000-716,000 slant-sided, metal refuse bins with an internal volume 
one cubic yard or greater, which may be unstable. The population of 
potentially unstable bins owned by some 10,000-15,000 private solid 
waste collection firms in all parts of the United States and its 
territories is estimated to be 359,000-371,000. These figures are 
discussed in the Commission's Economic Impact Statement of April 22, 
1977, which is available for review from the Commission's Office of the 
Secretary, Washington, D.C. 20207.
    (c) Need of the public for the product and effects on utility, cost, 
and availability. (1) The public need for refuse bins is substantial 
since these products are used for the containment of solid waste and 
thus contribute to public hygiene. The U.S. Environmental Protection 
Agency estimates that 135,000,000 tons of solid waste were collected in 
1976 from residential, commercial and industrial sources. Approximately 
101,250,000 tons (75%) were collected by private firms and the remainder 
by public agencies.
    (2) The Commission finds that the ban will not affect the utility 
that consumers derive from the general use of refuse bins. The interest 
of the public is in continuity, availability and price of solid waste 
collection. The ban could result in a shift from bins which are subject 
to the ban to other types of storage containers. Such a shift would not 
affect solid waste collection and would entail a small price increase 
for individual consumers. To the extent that injuries and deaths 
associated with the use of unstable bins are reduced or eliminated as a 
result of the ban, the public utility derived from the use of the 
product will be increased.
    (3)(i) The Commission finds that, based on its analysis of 
industrial estimates, newly produced complying refuse bins will cost 
approximately 1-10% more than currently produced noncomplying bins and 
that existing inventories of unstable bins can be modified (depending 
upon size) for about $45-$75 each. This modification cost estimate 
includes the cost of material, shop labor, retrieval and return to 
service, and the substitution of one bin for another for on-site 
service.
    (ii) The Commission estimates that the ban will not result in any 
significant price increases for the delivery of solid waste collection 
service to the general public because of the competitive structure of 
the solid waste collection industry.
    (4) The Commission finds that the ban will have no effect on the 
availability of solid waste collection service to the general public. 
Solid waste collection haulers who use products subject to this ban can 
modify these refuse bins so that these products can continue to be used 
for solid waste collection.
    (d) Alternatives. (1) The Commission has considered other means of 
achieving the objective of this ban, but has found none that it believes 
would have fewer adverse effects on competition or that would cause less 
disruption or dislocation of manufacturing, servicing or other 
commercial practices consistent with public health and safety. The 
Commission estimates that this ban may, because of capital and testing 
costs and maintenance capacity limitations, have an adverse effect on 
individual firms within some markets.
    (2) The Commission estimates that the ban will not have an adverse 
effect on the competitive structure of the solid waste collection 
industry. The competitive nature of solid waste collection firms is 
fostered because of low starting costs, particularly if a firm is owner-
operated. The rate of entry and exit into and out of the industry for 
small operators tends to be high relative to larger firms in the 
industry. The ban will most likely not increase the degree of market 
concentration among the larger firms nor affect the rate of entry into 
or exit out of the industry by relatively smaller firms.
    (3) Table 3 of the Economic Impact Statement indicates that about 85 
percent of the private sector trash haulers are those with a fleet size 
of about 10 trucks and have annual revenues under $1 million. These 
might be classified as small business firms. All firms in the trash 
hauling business would have two possible problems associated with the 
ban: cost and time to retrofit, and access to capital for retrofitting. 
The problem of raising capital to retrofit should not be a burden to 
small firms

[[Page 370]]

unless they are denied credit for factors not associated with this ban. 
The revised effective date from 9 to 12 months will extend both the time 
to retrofit and the time to search for capital sources, if necessary. We 
conclude that the small firms in the trash hauling industry will not 
experience undue hardship relative to their larger competitors.
    (e) Conclusion. (1) The Commission finds that this rule is 
reasonably necessary to eliminate or reduce the unreasonable risks of 
injury associated with refuse bins, as they are defined in Sec.  1301.4, 
and which fail to meet the criteria specified in Sec.  1301.5
    (2) Based on all of the above findings, the Commission finds that 
the issuance of this rule is in the public interest.
    (3) The Commission is aware of the fact that refuse bins are used 
for many years before being discarded. Estimates of their useful life 
range from 10 to 15 years. Although other products which may be 
hazardous may also have a long life in the hands of individual 
consumers, a substantial number of unstable refuse bins remain in 
commerce because they are rented or leased and are constantly available 
for use by large numbers of consumers. The combination of the long life 
of refuse bins plus the fact that unstable refuse bins could remain in 
commerce and be available for use by many people, persuaded the 
Commission to make this finding that no feasible consumer product safety 
standard under the CPSA could adequately protect the public from the 
unreasonable risk of injury associated with those unstable refuse bins 
coming under the coverage of this ban.