FAQ
1. How long does shipping take?
Processing: 3‑7 business days. Shipping: 7‑20 business days via freight (contiguous US). You’ll receive tracking and the carrier will contact you to schedule delivery.
2. What are shipping costs?
Calculated at checkout based on size/weight. Both storage beds and bedside tables have separate freight charges. Free shipping on qualifying orders.
3. Do you ship outside the contiguous US?
Currently, only to the contiguous 48 states.
4. Do items require assembly?
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Storage double beds: Yes, require assembly (attaching headboard, footboard, side rails, slats, drawer mechanisms). Instructions and tools included. Two people recommended.
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Leather bedside tables: Yes, require assembly (attaching legs, hardware). Instructions included.
5. What safety standards do your products meet?
Note: The storage bed meets CPSC‘s Clothing Storage Unit (CSU) definition (height ≥27 inches, mass ≥30 pounds, enclosed storage volume ≥3.2 cu ft) and must comply with 16 CFR 1261 / ASTM F2057‑23. If your storage bed does not meet all three criteria, these requirements may not apply.
6. What is ASTM F2057‑23 / 16 CFR 1261?
This is the mandatory CPSC safety standard for clothing storage units (CSUs) to protect children from tip‑over hazards. Key requirements include:
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Three stability tests simulating a child up to 60 lbs interacting with the unit: simulated clothing load test (Section 9.2.1), simulated horizontal dynamic force test (10 lbs, at ≤56″ height) (Section 9.2.2), and child weight reaction test on carpet (60 lbs) (Section 9.2.3). Under no condition shall the unit tip over or be supported only by an open drawer, door, or flap.
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Anti‑tip device meeting ASTM F3096 must be packaged with the unit and anchored to the wall. The device must be attached to a structurally sound location marked by the manufacturer.
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Permanent warning label with pictogram showing a child climbing a unit. Paper labels are considered permanent if removal requires tools/solvents or damages the label/adhered surface; non‑paper labels are permanent if removal damages the adhered surface; direct‑surface labels must pass ASTM D3359 tape test.
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Formaldehyde emissions for composite wood components ≤0.05 ppm (40 CFR 770).
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This rule applies to all CSUs manufactured after September 1, 2023 and is enforceable by CPSC.
7. What safety standards do your leather bedside tables meet?
Our leather bedside tables are general‑use furniture items that comply with:
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16 CFR 1303: Surface coating lead ≤90 ppm for any painted/coated components.
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CARB ATCM Phase 2 (40 CFR 770): Composite wood components comply with ≤0.05 ppm formaldehyde emissions (if applicable).
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General Certificate of Conformity (GCC) available upon request.
8. Do your products require a General Certificate of Conformity (GCC)?
Yes. For storage beds (general‑use furniture), we provide a General Certificate of Conformity (GCC) available upon request, certifying compliance with applicable CPSC safety rules (16 CFR 1261 for CSUs, 16 CFR 1303, CARB Phase 2) based on testing or a reasonable testing program. The GCC includes product identification, citation to each CPSC safety rule, manufacturer/importer information, date and place of manufacture, testing dates, and record‑keeper contact.
9. Do your products require a Children’s Product Certificate (CPC)?
If a storage bed or bedside table is intended for children 12 and under, we provide a Children’s Product Certificate (CPC) based on third‑party testing at a CPSC‑accepted laboratory, including CPSIA lead (<100 ppm substrate, ≤90 ppm coating), phthalates (<0.1%), and 16 CFR 1130 tracking labels on product and packaging.
10. Does the FTC Care Labeling Rule apply to my leather bedside table?
The FTC Care Labeling Rule (16 CFR 423) applies to textile wearing apparel and certain piece goods, but does not generally require care labels for furniture items, including leather bedside tables. However, the textile components (if any) of our bedside tables follow the FTC’s Guides for Select Leather and Imitation Leather Products, ensuring accurate material representation. Permanent care instructions may be attached for cleaning purposes, but are not mandatory under the Rule.
11. What is California Proposition 65?
Under California Proposition 65 (Safe Drinking Water and Toxic Enforcement Act of 1986), if a product contains any of over 900 listed chemicals known to cause cancer, birth defects, or other reproductive harm above safe harbor levels, a clear and reasonable warning must be provided. Our products may contain listed chemicals (e.g., formaldehyde in composite wood, lead in paints, certain phthalates in plastics). When applicable, a Proposition 65 warning is displayed on product pages and packaging.