Europe and the United States is Toy Exports The two most significant markets. Therefore, these two places toy testing standards, export enterprises must be highly touched about and full compass. Two testing standards in Europe and America there are some significant results and greater impact on the details can easy be overlooked, of which were conducted in-depth discussion and analysis. Article from the “not for children under 36 months of use of toys”, “little ball” five aspects of the EU test received EN71-1: 05 for interpretation. The next issue will discourse the analysis of the U.S. toy testing standards, easy overlooked details. EN71-1: 05 details Ignored 1. EU toy safety standards, “not for children under 36 months of the toys,” the applicative age group and the unsafe area, and our toy safety regulations and outside toy safety standards alter wide. European EN71-1: 05 in 7.2 and China GB6675-03 of AC2.3 item “little parts and toys with little parts,” and the outside received ISO8124-1: 2000 in C.2.3 very unlike items. Only from the provisions of the terms of the warning language and graphical terms, the three requirements are the same, but the three age groups apply reproducible and unsafe areas. From the provisions of the applicatory age group, the received 7.2 does not set the upper limit for the age group that is applicatory to all 3 to 14 years; from the provisions of the applicative risk scale, not merely the received 7.2 circumscribed to little parts and toys with little parts (the original “is not for children under 36 months of use, but may be unsafe to their toys, with the warning language should be age warning language conditioned in EN71-6 can be used symbols alternatively of “), other benefits such as edge, sharp point, the processes, are likely to create dangerous situations for children should be included. And GB6675-03 of AC2.3 items and ISO8124-1: 2000 in C.2.3 items are classified as to its “small parts and toys with small parts” in the applicable age group so they are only 37 to 72 months, the risk of its application scope limited to “small parts and toys with small parts”, this should be brought to our attention. In addition, the three standard color requirements for graphical symbols we have to pay attention. Standard provides that “the red circle and slash shall be the background should be white, age group and facial contours shall be black.” I once met several times since some of the stakeholders involved in packaging design standards for graphical symbols do not know the color of requirements, making the white background color should be covered by other non-white and color printing and will not use because of the circle and the slash printed in black and so the situation does not meet standards. 2. EU standards in the “small ball” of the applicable age group and U.S. standards, our standards, international standards vary widely, and the “small ball” is there without explanation or definition of the term. First, EN71-1: 05 in 7.18 “small ball” to look into the provisions of a similar standard 7.2, none of the upper limit set for the age group (original: “itself contains a small ball or small ball, and Not for children under 36 months, but for these children, dangerous toys may be in its packaging with a warning as “), that is 3 to 14 years old is applicable to all the provisions of this and ASTMF963-07 4.35 .2 items, GB6675-03 of A.4.5.2 items and ISO8124-1: 2000 in 4.5.2 item ball warning language for ages 3 to 8 years old are quite different. Secondly, EN71-1: 05 in 4.22 “small ball” in the states, “This requirement does not apply to software Stuffed toys Or silk ball. “But the EN71-1: 05 including 3” Terms and definitions “are not anywhere, including on the” silk ball “explanation or definition of the word. Well, EN71-1: 05 in glomerular What? If the wire ball is nothing to know that how to determine what should distinguish between the so-called “small ball requirement does not apply silk ball”? corresponding ASTMF963-07 of 3.1.50 key definition of silk ball, 8.17 a silk ball test method, 4.36 silk ball on the safety requirements; and ISO8124-1: 2000 of 3.36 is also the definition of wire ball, 184.108.40.206 items with silk ball test method, 5.5 ball on the wire safety requirements. GB6675-03 of the A.3.36 other items have hair bulb (the silk ball) is defined, A.220.127.116.11 item a hair ball test method, A.4.5.3 item on the safety of hair bulb requirements. 3. EU standards in the “stuffed” in the required goaded machine precision exactly how much? Order to comply with EN71-1: 05 in 5.2 “stuffed” (a) term “soft filling material must not contain any hard or sharp impurities, such as metal particles, nails, needles and sharp debris” requirement, we generally need to use needle machine for testing, the necessary needle machine precision exactly how much? EN71-1: 05 in not required. The same problem also exists in the 4.3.7 ASTMF963-07 item “fill material” and 16CFR1500.18 “prohibit the use of children’s toys and objects” (3), but GB6675-03 and ISO8124-1: 2000 has failed on the fill material can not contain metal particles in clear terms.