Graham-Field CALIFORNIA PROPOSITION 65 WARNINGS

 

RE: REQUIRED CALIFORNIA PROPOSITION 65 WARNINGS FOR PRODUCTS SOLD OR POTENTIALLY SOLD TO CALIFORNIA CONSUMERS VIA THE INTERNET OR CATALOG

Thank you for purchasing products from GF Health Products, Inc. and Intensa, Inc. (“Graham-Field”). Your company may choose to purchase one or more products from Graham-Field which are subject to the requirements of California Proposition 65. All such products have the required Proposition 65 Warning language clearly marked on the labels or products, as required.

In addition to the warnings which Graham-Field places on the products, companies selling the Products on the internet or through a catalogue to California customers must also provide the warnings on the internet/in the catalogue.

If you sell through a catalogue, you must provide the warning in a manner that clearly associates it with the items being purchased.

If you sell through the internet, then you must provide a warning or a clearly marked hyperlink using the word “WARNING” on the product display page, or by otherwise prominently displaying the warning to the purchaser prior to completing the internet purchase.

You may use the precise warning which Graham-Field has put on the packaging/product to comply with this requirement. The bottom line is that the purchaser must see the warning prior to completing the purchase. Please review 27 CCR Section 25602 for the specifics of your responsibility. This letter is meant to give you notice of your responsibilities under Proposition 65, but should not be construed as legal advice as to how to correctly satisfy your obligations.

In an effort to avoid future potential litigation for both Graham-Field and our customers, you must insert these warnings prior to selling these products to California customers through a catalogue or via the internet. For more information on Proposition 65 regulations, visit http://grahamfield.com/pdfs/CALIFORNIA%20PROP%2065.pdf and https://oehha.ca.gov/proposition-65.

Please e-mail any questions you have to Regulatory@GF.com. Thank you for your cooperation.

Sincerely,
Amy Piccini
Regulatory Affairs Manager