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The Energy Labeling Rule requires light bulb manufacturers to give consumers key information in an easy-to-read format.
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The Lighting Facts label gives shoppers the information they need to buy the most energy-efficient bulb to meet their lighting needs. The label includes a bulbs brightness, energy cost, life, light appearance, and wattage. In addition, the principal display panel on the front of packaging focuses on lumens, a measure of brightness, rather than on watts, a measure of the amount of energy used, and includes the estimated yearly energy cost for each bulb. Bulbs themselves also feature lumens, and in the case of CFLs, a mercury disclosure.
The FTC enforces the Energy Labeling Rule. To help you comply with the labeling and reporting requirements for common household light bulbs, FTC staff have prepared answers to some common questions weve been asked.
The FTC Lighting Facts label and principal display panel information must appear on packaging for most general service lamps with medium screw bases, including most incandescent, compact fluorescent (CFL) and light-emitting diode (LED) light bulbs. The Energy Labeling Rule has several exceptions for various lamp types, so its a good idea to review specific definitions for answers about coverage. See 16 CFR § 305.2 and § 305.5.
The principal display panel on the front of a products package must be labeled clearly and conspicuously with:
See 16 CFR § 305.15 and Appendix L.
The Lighting Facts label must be on the side or rear panel of a products package. The label must include:
Contains Mercury For more on clean up and safe disposal, visit epa.gov/cfl.
You may add an Hg[Encircled] symbol on the label after the words Contains Mercury.
See 16 CFR § 305.23 and Appendix L.
You must print this information on general service lamps:
Mercury disposal: epa.gov/cfl in minimum eight point font
See 16 CFR § 305.15.
If the total surface area of the product package available for labeling is less than 24 square inches, and the package shape or size cannot accommodate the standard label, you may provide the information using a smaller linear label. See 16 CFR § 305.15.
Specialty consumer lamps include most lamps with a medium screw, candelabra screw, a GU-10, or GU-24 base and a lumen range between 310 lumens and no more than 2,600 lumens, or a rated wattage between 30 and 199. The term does not cover any lamp that qualifies as a general service lamp. The Energy Labeling Rule has several exceptions for various lamp types, so its a good idea to review specific definitions for answers about coverage. See sections 305.5 and 305.23 of the Rule for details about the coverage.
Manufacturers may use the Lighting Facts label required for general service lamps or the smaller version of the Lighting Facts label for most specialty consumer lamps, as long as it appears on the principal display panel. However, a specialty consumer lamp that is a vibration-service lamp, rough service lamp, appliance lamp or shatter resistant lamp must use the Lighting Facts labels (and follow all other requirements) applicable for general service lamps.
If the required disclosures (i.e., either the abbreviated specialty bulb disclosure or the standard general service lamp label) would not be legible on the front of a single-card blister package due to its size, you may use a smaller label on the principal display panel that says See Back for Lighting Facts, and include the full Lighting Facts label on the back of the package.
If the lamp contains mercury, you must put this statement on the principal display panel:
Contains Mercury For more on clean up and safe disposal, visit epa.gov/cfl.
You may add an Hg[Encircled] symbol on package after the words Contains Mercury.
Contact us to discuss your requirements of Day Lighting Sheet. Our experienced sales team can help you identify the options that best suit your needs.
You must also label the lamp legibly with this statement: Mercury disposal: epa.gov/cfl in minimum eight point font.
The FTC offers templates you can use to create Lighting Facts and principal display panel labels.
You must ensure that you enter the correct data for your products. If you have signed a Memorandum of Understanding with the Department of Energy or the Environmental Protection Agency, you may use labels with the ENERGY STAR logo, but only on certified models listed on the ENERGY STAR website. See Energystar.gov for more information.
You must use Department of Energy (DOE) test procedures for any lamps (e.g., general service lamps), covered by those procedures. You may find them here. See 10 CFR Part 430, 10 CFR Part 431, and 10 CFR § 429.11.
If a lamp is not covered by DOE tests, you must have competent and reliable scientific evidence to support the representations you make on the required label. See 16 CFR § 305.8.
You may present the information on a label in English and a second language by:
Here is a sample of a bilingual label. All the required information must appear in both languages, but you dont need to repeat numeric characters that are identical in both languages. The amendments dont allow a trilingual label. See 16 CFR § 305.23.
No. The Rule doesnt require you to get FTC approval before you label and sell the products. However, you must meet the FTC reporting requirements before you distribute products that are covered by the Rule. You also must comply with the Rules testing requirements. See the previous question: What test procedures must I use to support the content of my Lighting Facts label?
No. The Lighting Facts label may not include any marks or information other than those specified in the Rule. See 16 CFR § 305.15.
If you are a manufacturer of general service lamps or specialty consumer lamps covered by the labeling requirements, you must post images of the Lighting Facts labels for the products on a publicly available website so website retailers can hyperlink to the labels or download them. The label for each model must remain on the website for six months after production of that model ends. See 16 CFR § 305.6.
A manufacturer, distributor, retailer, or private labeler who advertises a general service lamp on a website or in a print catalog that contains the terms of sale, retail price, and ordering instructions for consumers, must disclose clearly and conspicuously, on the page listing the lamp, an image of the Lighting Facts label.
The labels must be clear and conspicuous, and appear in close proximity to the lamps price on each page that contains a detailed description of the lamp.
For specialty consumer lamps, this requirement goes into effect on May 2, . For more information about these requirements, see 16 CFR § 305.20.
The Rule requires reports for general service incandescent lamps and CFLs. It does not require reports for general service light-emitting diode (LED or OLED) lamps or specialty consumer lamps. See 16 CFR § 305.8.
The Rule requires reports:
You can submit the reports required by the FTC through the Department of Energys Compliance Certification Management System (CCMS) at regulations.doe.gov/ccms. The reports must contain the same content the Department of Energy requires under its certification rules. See 16 CFR § 305.8 and 10 CFR Part 429.
There are some significant differences between natural daylight and artificial light. Most important here are intensity and spectrum. The full light spectrum can only be found in daylight, although bright sunlight is not absolutely necessary.
Even an overcast winter day still provides better light than bright office lighting. This natural daylight not only lifts the mood and helps the body produce vitamin D, it is also better for the eyes and productivity.
Fonts are easier to read and colours easier to distinguish in daylight than in artificial light. Also, our eyes do not have to strain as they do in the light of a lamp. The white light colour of the midday sun or an overcast day is rather cool and provides a clear and unfiltered colour perception.
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