SDS

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Clean Air Act: The products do not contain any Class 1 or Class 2 Ozone Depleters.
Clean Water Act: These products are not listed as Hazardous Substance under CWA.
These products do not contain any chemicals listed as priority or toxic pollutants under
the CWA.
Resource Conservation and Recovery Act: If the product becomes a waste, it is not a
hazardous waste as defined by the Resource Conservation and Recovery Act (RCRA) 40
CFR 261. Dispose of in accordance with all federal, state and local laws and regulations.
Occupational Health and Safety Act: These products are articles of commerce as defined
in 29 CFR 19100.1200 (e). Accordingly a material safety data sheet is not required. The
information in this product sheet is essentially the same as that in a MSDS.
Department of Transportation: These products are not hazardous as defined by 49 CFR
172.101 (US DOT).
Proper Shipping Name: Not applicable / Hazard Class Number: Not Applicable
UN Identification Number: Not applicable / Packing Group: Not Applicable
DOT Label(s) Required: Not applicable / Emergency Response Guide: Not applicable
Marine Pollutant: Marine Pollutants regulations are not applicable to these products.
Transport Canada Transportation of Dangerous Goods Regulations: These products are
not considered dangerous goods.
Consumer Product Safety Improvement Act of 2008: These products are not designed nor
manufactured for use by children under the age of 12 years, therefore, they are not
subject to Sections 101 to 108 of the Act.
EU RoHS: The Directive 2002/95/EC on the Restrictions of certain Hazardous Substances
in electrical and electronic equipment, (the RoHS Directive), was established by the
European Parliament to regulate various hazardous substances in electrical and electronic
equipment. The directive applies “… to electrical and electronic equipment…set out in
Annex 1A to Directive No 2002/96/EC (WEEE) and to electric light bulbs, and luminaries in
households” where electrical and electronic equipment is defined as “…equipment which is
dependent on electric currents or electromagnetic fields in order to work properly…”
Unless polyurethane foam is an integral component of “electrical or electronic equipment”
it is not regulated by the RoHS. Polyurethane foam used as packaging is not an integral
part of “electrical and electronic equipment” and therefore not regulated by the RoHS
Directive.
With the above in mind, Future Foam does not knowingly add to its foam products the
hazardous substances listed and referred to the in the RoHS Directive.
Substances of Very High Concern (SVHC): Future Foam does not knowingly add to its
foam products any of the SVHC listed substances.