llnitrd genus gamma WASHINGTON, DC 20510 June 10, 2019 The Honorable Ann Marie Buerkle The Honorable Wilbur Ross Acting Chairman Secretary US. Consumer Product Safety Commission US. Department of Commerce 4330 East West Highway 1401 Constitution Avenue Northwest Bethesda, MD. 20814 Washington, DC. 20230 Dear Chairman Buerkle and Secretary Ross, We write to ask that the Consumer Product Safety Commission (CPSC), together with the Department of Commerce (Department), undertake action to adopt stricter speci?c mandatory regulations concerning ?toy guns," imitation guns, and non-powder guns. Speci?cally, we request that CPSC issue regulations to ensure that non-powder guns, including traditionai BB guns, look markedly different from real firearms, imitation and toy guns. In other words, all three categories of real, toy or imitation, and non-powder guns should look signi?cantly different from one another. Such regulations are long overdue; in fact, more than two decades ago former Chairwoman Ann Brown recognized the dangers of toy and non-powder guns and called on the industIy to stop producing looitaliltes.l Today, a CPSC safety aiert warns, guns can kill a person.?2 Current regulations require ?a blaze orange plug inserted in the barrel. of such toy, look?alike, or imitation ?rearm,? or that toy guns be colored singly or in combination with specified colors, have an orange marking on the barrel's exterior, or be made fully of transparent or translucent materials.3 Unfortunately, these orange tips are easily removed or camou?agedfl Current statute states that the Department of Commerce ?may provide for an alternate marking or device for any toy, lookalike, or imitation firearm."5 Current regulations do not have any requirements regarding the appearance of non-powder guns.Eh Such regulations, if adopted, would provide better protection for consumers and the general public. In addition, the regulations concerning toy and imitation guns are over 30 years old and in need of an update. As early as 1990, a Bureau ofJustice Statistics report found that ?[r]eactions to the 3 3 See 15 CPR Section 1 150.3 Approved markings and ASTM F963 Consumer Safety Speci?cation for Toys Section 4.30 which mirror such requirements. I 5 See 15 U.S.C. (exempting firearms from the de?nition of ?consumer product? subject to the authority ofthe Commission); Rev. Rul. 67-453, 1967-2 CB. 3?8 (stating that air ri?es and air pistols are not part of that exemption); 5500 1; see 15 CFR I 150.3 which does Drovide for alternate marking oftoys, but not air gun weapons, 1d. [alternate] markings by police personnel included ?ineffective'; ?ridiculous?; cludicrous?; ?that won?t make any difference?; and several more colorfully descriptive comments?:F In fact, all the site visits, every person the researchers spoke with expressed the belief that the minimal marking standards were suf?cient.?8 An earlier study in 1989 found that FBI recruits were coofronted by assailants carrying firearms or guns with orange tips. The recruits had two seconds to decide whether to shoot. When faced with unmarked replica pistols or guns with orange tips, of?cers shot 95 percent of the time.9 The study noted that ?the Orange plug marking system does not help police of?cers to distinguish between toy guns and real guns.?m Perhaps most concerning of all, children are unable to tell the difference between toy guns or imitation guns and real ?rearms. According to a 2018 study from Emory University, a majority of children could not tell the difference between a real gun and an imitation gun when presented with comparison photos." In contrast, a majority of parents, caregivers, and the children themselves were confident their children could distinguish between real and toy guns.?2 According to the Washington Post ?3 police shooting database, 153 people have died at the hands of police while holding either an air gun, imitation gun or toy gun guns since 2015.13 Analyzing data from 2015-2016, the Washington Post found that police shot and killed 53 people who were holding pneumatic BB or pellet guns,16 people who were holding Airsoft guns, 13 people who were holding replicas guns, and two people who were holding toy guns.I4 Even more troubling, the numbers suggest that black and Latino individuals are more likely to be victims of these types of police shootings. I 5 Law enforcement, recognizing the dangers these unregulated air guns pose, have taken it upon themselves to warn the public of the dangers of wielding them in I public.?6 As gun sales continue to fall, firearm manufacturers are looking for new and novel ways to target a younger demographic. ?7 Licensing deals whereby ?rearm manufacturers allow their products ll??'aser doh '3 httos:wawthetracecrg?o '4 le6-belc-8cec35blad25 storv.html?utm term=.25d708l47b4c '5 '6 gunsf1696391359; 8H H2 guns-during-holidavsf; 80 023 52 '7 -percent-in-20] S-extendina-trump- slump-idUSKCN 1PN346: be reproduced as imitation guns are part of a broader strategy to market their products to children. 3 It is past due time for Commerce to revise its regulations concerning toy guns and imitation guns and for the CPSC to strengthen regulations concerning non-powder guns. To that end, we ask the Department and the CPSC to adopt stricter speci?c mandatory regulations for such products. These regulations should require markings that are conspicuous and tamper-proof. Thank you in advance for you cooperation. Please contact Shelby Boxenbaum (Shelby Boxenbaum@menendezsenate.gov or 202-224-4 744) with any questions. Edward J. Markey 0 United States Senator Robert Menendez United States Senator Witch/22? Richard Blumenthal United States Senator '3