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Are the durability labels on children's clothing assessed for tensile strength?

The size labels inside the collar of children's clothing and the durability labels inside opening garments do not require assessment for tensile strength.

If both age and height are indicated on the label, which should take precedence?

Age should be the primary criterion for differentiation. Under clauses 3.2 and 3.3 of GB 31701, the scope of infant and children's textile products is defined by age. The notes under the defining clauses provide supplementary explanations of age, setting the height ranges for infants, children under 7 years old, and children under 14 years old, which correspond to the sizes in clothing size standards, resolving the issue of which age group to assess during the implementation of the standard.

Is it compliant to label infant and toddler textiles as "GB 31701 for Infant and Toddler Products" without specifying "Category A"?

According to the standard 4.1.4 requirement: Infant and toddler textile products should indicate the standard number and "Infant and Toddler Products" on the instructions for use; children's textile products should indicate the standard number and the safety technical requirement category that they meet (for example, GB 31701 Category A, GB 31701 Category B, or GB 31701 Category C). For infant and toddler products, not specifying "Category A" is compliant, and including it will not be deemed non-compliant.

Can printing the production date on the label prove that the product was manufactured before June 1, 2016?

Multiple regulations clearly stipulate that manufacturers must clearly indicate the production date on product packaging.

U.S. regulations: Both the administrative codes of Virginia and Illinois require that the container or packaging of consumer products must clearly display the production date of the product, or use a traceable code (such as Julian calendar). Federal regulations also have similar provisions.

Chinese regulations: The "Product Quality Law" clearly stipulates that products with a limited use-by date should have their production date clearly marked in a prominent position. For food products, the "Food Safety Law" and its labeling guidelines (such as the upcoming GB 7718-2025) impose strict requirements on the placement (such as a separate area on the main display panel), color contrast, and font size (with a minimum height of not less than 3.0 millimeters) of the production date marking, aiming to address consumers' issues of "difficulty in finding, difficulty in seeing, and difficulty in calculating".

The pattern of the socks is quite complex; how should the fiber content be labeled?

If the pattern of the socks is complex, the fiber content can be labeled for the upper part of the socks, such as: upper part 100% cotton. If the upper part is also complex and cannot be labeled, it can be labeled for other parts and specify the exact part, such as: sole part 100% cotton.

How should "metallic yarn" be professionally expressed, and can it be labeled?

No.

There are two common types of metallic yarn materials, one is polyester, and the other is polyamide. Therefore, metallic yarn should be professionally expressed as:

Polyester film fiber or polyamide film fiber.

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