Title: The Art of the Possible
1The Art of the Possible
Evidence -informed Provisions for Tobacco Control
Legislation
Rose Nathan, JD, MPH Global Public Health Law
Services, LLC (GPHLS)
2Strong and comprehensive TC regulation is possible
G P H L S
- Despite political constraints, many countries
have legislative that is - Stringent
- Comprehensive
- Forward thinking
3Countries TC successes (examples)
G P H L S
- Strong, graphic and very large health
message/labeling requirements -
Canada
Brazil
4Countries successes, contd
- Virtual bans on smoking in
- public places/workplaces
- S. Africa, Ireland, Norway, Italy, New Zealand,
others - Advertising, sponsorship, and promotion bans
- S. Africa, Thailand
- Meaningful reporting requirements
- Canada, State of Mass (US)
- Comprehensive TC laws covering multiple topics
- Brazil, Canada, Poland, S. Africa, Thailand
5Priority Interventions for Tobacco Control
G P H L S
- 1. Excise taxes-all tobacco products
- 2. Protection from exposure to tobacco smoke
bans in public places - 3. Comprehensive bans on all forms of
advertising, sponsorships and other forms of
promotion - 4. Packaging and labeling
- 5. Anti-smuggling provisions
- 6. Sales/distribution/displays
- 7. Product regulation and industry reporting
- 8. Licensing
- 9. Cessation support
- 10. Inspections and enforcement
6Excise taxes the evidence
- Raising taxes on tobacco products is the
- single most important intervention
- 10 increase in price worldwide could save 10
million lives - Higher Price ?Lower Consumption, Fewer Youth
Starting - Price elasticities are higher in low and middle
income countries - Higher Excise Tax more government revenue
- Higher taxes ? more smuggling
- Source Jha P, Chalupka F. Curbing the epidemic
governments and the economics of tobacco control.
Washington, DC World Bank 1999)
7Real cigarette tax rate and real cigarette tax
revenue in South Africa 1960-1997
8Taxation best practices
- Tax rate should be between 2/3 and 4/5 of retail
price - Automatic increases to exceed the rate of
inflation - Tax on all tobacco products
- Tax tied to a stable currency
- Earmarking tax revenues for tobacco
control/health promotion - (Source Jha P, Chalupka F. Curbing the
epidemic governments and the economics of
tobacco control. Washington, DC World Bank
1999)
9Smoke-free environments
10The evidence secondhand smoke causes
disease/death
- Preventable mortality and morbidity from
- Cancers
- Heart Disease and Stroke
- Chronic Lung Ailments
- Asthma
- Respiratory Infections
- Low Birth Weight
- SIDS
11Second-hand smoke, contd
- Tobacco smoke contains gt4000 chemicals more than
60 known or suspected carcinogens - 30 increased risk of cancer
- and heart disease
- 50 increased risk for restaurant/bar workers
- (Sources National Cancer Institute. Risks
associated with smoking - cigarettes with low machine-measured yields of
tar and nicotine. NIH Pub. - No. 02-5074, October 2001 International Agency
for Research on Cancer. - Monograph on tobacco smoke and involuntary
smoking. Vol. 83 (In press) - Whincup, PH et al, Passive smoking and risk of
coronary heart disease and - stroke prospective study with cotinine
measurement, British Medical Journal, - BMJ, doi10.1136/bmj.38146.427188.55, June 30,
2004)
12Best Practice smoking bans in public/workplaces
- Smoking bans in public/work places protect the
public/workers and result in less smoking and
higher quit rates - 29 reduction in consumption (3.8 drop in
prevalence, and 3.1 fewer cigarettes per employee
per day) - (Sources Philip Morris POL data base, Impact
of Workplace Restrictions on Consumption and
Incidence U.S. Department of Health and Human
Services (HHS), Reducing Tobacco Use A Report of
the Surgeon General, 2000, National Cancer
Institute, Population Based Smoking Cessation
Proceedings of a Conference on What Works to
Influence Cessation in the General Population,
Smoking and Tobacco Control Monograph No. 12, NIH
Pub. No. 00-4892, November 2000)
13Smoking bans in public places in the industrys
own words
-
- Total prohibition of smoking in the workplace
strongly affects industry volume. Smokers facing
these restrictions consume 11-15 less than
average and a quit rate that is 84 higher than
average - (Phillip Morris internal document, Bates No.
2025833451-5 January 21, 1992)
14Industry responses (1) courtesy of
choice/separate ventilation
- But, the evidence shows
- Separate smoking areas do not provide protection,
whether ventilated or not - Even separately ventilated smoking rooms provide
questionable protection due to imperfect
conditions (swinging doors, maintenance of the
ventilation system, etc.) - Concerns about workers entering the smoking rooms
during and after smoking - (Department of Labor, Occupational Safety and
Health Administration, Federal Register notice of
proposed rulemaking, Indoor Air Quality, FR
5915968-16039, April 5, 1994 ASHRAE 62-1999
Ventilation for Acceptable Indoor Air Quality,
see Addendum 62e. ASHRAE 62-1999 Ventilation
for Acceptable Indoor Air Quality, see Addendum
62e ASHRAE 62-1999 Ventilation for Acceptable
Indoor Air Quality, see Addendum 62e.)
15Industry response (2) lost revenues
- But the evidence shows
- Scientifically rigorous studies show smoking bans
in hospitality venues do not cause loss in
revenues - (Source Scollo M, Lal A. Summary of studies
assessing the economic impact of smoke-free
policies in the hospitality industry. VicHealth
Center for Tobacco Control, Melbourne, Australia
Aug. 2003) - More and more countries, provinces and cities are
going smoke free, including in bars and
restaurants
16Tobacco Advertising
17The evidence advertisings relationship to
consumption
- Advertising increases tobacco consumption
- youth are especially vulnerable
- Youth who own promotional items are more likely
to become smokers - Comprehensive advertising, sponsorship, and
promotion bans decrease consumption (approx. 6
percent) - Restrictions/partial bans are ineffectiveadvertis
ing /promotion will increase in permitted forms - (Sources Saffer (2000) Chaloupka and Warner
(2000) Saffer and Chaloupka (2000) Tobacco
Advertising Economic Theory and International
Evidence Wakefield, et al. (2000) Changes at
the Point-of-Sale for Tobacco Following the 1999
Tobacco Billboard Ban Pierce, et al. 1998
Biener Siegel 2000 Sargent et al 2000
Phillip Morris. Marketing new products in a
restrictive environment. June 1990. Bates No.
2044762173-2364) )
18Comprehensive advertising/promotion bans reduce
cigarette consumption
Consumption trend in countries w/bans v. w/out
bans
(Source Saffer, Tobacco control in developing
countries 2000)
19Advertising/promotion best practices
- Ban all forms of direct and indirect advertising,
sponsorships, and other forms of promotion - Define terms very carefully
20Packaging and labeling
Smokers are unaware of the true risks and
under- estimate their own risk (Source Ayanian
J, Cleary P. Perceived risks of heart disease and
cancer among cigarette smokers. Journal of the
American Medical Asssociation, 1999
281(11)1019-21.
21Labeling the evidence
- Studies show that large, picture based warnings
- increase the motivation to quit
- increase concern about health effects of smoking
- increase awareness of the health effects for a
significant proportion of smokers - Source Environics Research Group, Ltd.,
Evaluation of New warning on Cigarette
Packages, Prepare for the Cancer Society, 2001)
22The evidence, contd size matters
- Picture-based
- warnings are more
- effective than text-
- only warnings, and
- the effectiveness
- increases with
- size
- (Source Environics Research Group Ltd., 2001)
23Warning/message size, contd
FCTC requires a minimum size of 30 of package
main display panels
Brazilian warning/message
24Labeling best practices
- 50 is better
- Rotating messages keep the information from
getting stale - (SourcesJha and Chaloupka, 1999
EnvironicsResearch Group Ltd., 2001)
25Misleading descriptors the evidence
- Smokers compensate
- with low tar products, inhaling more deeply
- Results in equal or greater harm than from
regular tar cigarettes - For that reason, tar, nicotine, and CO levels are
not measured accurately and disclosed levels are
misleading - (Source National Cancer Institute, Risks
Associated with Smoking Cigarettes with Low
Machine-measured Yields of Tar and Nicotine,
2001)
26Misleading descriptors best practices
- Ban misleading descriptors, colors, graphics,
etc., as well as packaging design that implies
light or mild products - Ban display of tar, nicotine, and CO levels on
packages since they inherently are misleading
under current testing methods - (Source WHO/SACTOB
27Anti-smuggling provisions
28The evidence smuggling
- Defrauds governments and taxpayers
- Increases level of crime and corruption
- Puts cheaper cigarettes on the street
- Undermines a powerful tobacco control policy
use of higher taxes to reduce tobacco use - (Source Joossens L. How to combat tobacco
smuggling through the WHO Framework Convention on
Tobacco Control. Presentation at the Second World
Conference on Modern Criminal Investigation,
Organized Crime and Human Rights, Durban. Dec 7,
2001)
29Industry arguments higher taxes increase
smuggling
- But the evidence shows
- Higher taxes alone do not increase smuggling
- High prices taxes, low smuggling (lt5)
- Sweden, Denmark, Norway, France, Finland (UK
in previous years), Ireland - Low prices taxes, high smuggling (gt10)
- Spain, Italy, Pakistan, Nigeria, Yugoslavia,
Ukraine, Moldova, Colombia, Iran, Austria,
Cambodia
30As Cigarette Tax Rises, Revenue Increases, even
with smuggling
Source Statistics Finland
31Best practices to prevent smuggling
- High penalties
- Tax paid markings/stamps, end duty-free sales
- Require unique identifying code on packages and
chain of custody information, so smuggled
cigarettes can be traced - Make exporters responsible (strictly liable) for
final legal destination of cigarettes - Resources for detecting and prosecuting smuggling
- Collaboration/communication among customs
officials around the globe - License all cigarette exporters, manufacturers
and distributors, require detailed records - (Source Joosens, 2001)
32Licensing
- In addition to its importance as an
anti-smuggling measure, licensing - helps governments track tobacco businesses
- can be a powerful enforcement mechanism
- Best practices
- License manufacturers, importers, and
wholesalers also license retailers, if feasible - (Source Joosens, 2001)
- Recover government-incurred health and TC costs
through manufacturer and importer/exporter
licensure fees
33Product regulation the evidence
- Manufactured tobacco products are highly
engineered nicotine delivery devices - They contain thousands of carcinogenic and toxic
chemicals - To enhance flavor
- To enhance nicotine uptake
- To stay lighted (causing fires)
- Cigarettes in different markets have been found
to contain different levels of tar, nicotine,
tobacco-specific nitrosamines (TSNAs), etc. - TSNAs and Polyaromatic hydrocarbons levels can be
eliminated - (Sources Hoffmann D, Hoffmann I, and
El-Bayoumy K. The less harmful cigarette a
controversial issue. Chemical Research in
Toxicology, July 2001 14(7)767-90 National
Campaign for Tobacco-Free Kids. Tobacco fact
sheet cigarette content and design. National
Campaign for Tobacco-Free Kids Washington, DC,
1999)
34Product regulation and reporting best practices
- Presently, there are no best practices for
- product regulation--WHO SACTOB and
- FCTC COP are charged with providing guidance
- Most governments that regulate tobacco products
set limits for tar, nicotine and CO BUT - Current testing methods are flawed and provide
inaccurate measures for tar, nicotine and CO - compensatory smoking behavior
- tobacco industrys manipulation of the tests
35Product regulation best practices, contd
- Result tar, nicotine, and CO levels are
misleading to consumers - (Source WHO, SACTOB Recommendation on Tobacco
Product Ingredients and Emissions, 2002)
36Product regulation and reporting recommendations
- In the meantime
- Provide broad Ministerial/agency authority to
regulate tobacco products and to prescribe
testing methods - Require reporting by the tobacco
manufacturers/importers of the constituents and
additives (existence, levels, functions) in its
tobacco products, by brand, may help regulators
and inform the public - also, reporting of business practices
37Inspections and enforcement
- For effective inspection and enforcement
- broad inspection and subpoena power
- premises, records, employees, processes, products
- range of penalties
- licensure sanction, fines, jail, forfeiture of
ill gotten gains and non-compliant products - clear divisions of authority for inspecting and
enforcing entities - private rights of action for citizens and
citizens groups (if legally and socially
feasible)
38Inter-related provisions for tobacco control
- Certain TC topics are inter-related--addressing
one without addressing the related topic(s)
creates a loophole the industry readily will
exploit - Inter-related topics include
- Advertising, sponsorships, and other forms of
promotion Package Displays - Labeling - Packaging
- Tax/Price - Promotion - Packaging Smuggling -
Labeling Licensing- Packaging (size) - Inspections- Enforcement-Litigation Enabling
Provisions (including private rights of action)
39Promotion - Packaging - Sales Displays
- If goal is to eliminate all forms of tobacco
- promotion, we must address
- advertising, sponsorships and all other forms of
promotion - why OECD study, industry documents, many
countries experiences substitution in permitted
forms - how comprehensive direct and indirect promotion
ban - packaging, lest the packaging itself and
commercial displays take on the role of
advertising - why Industry memos, Uganda example (ad removed
from billboards put on cigarette packs), S.
Africa example (5 package displays) - how commercial package display bans, generic
packaging
40Example advertising or news?
- Is it advertising or
- news coverage of
- sports?
- Brand stretching
- News as advertising
41Tobacco promotions
This is what happens when advertising is
banned but other forms of promotion are not
Contest Prize Trip to L.A. for fun and adventure
42Labeling Packaging
- If goal is to eliminate misleading labeling
(e.g., light and mild), we must also address - packaging
- why package color schemes replacing light and
mild descriptors (e.g., Brazil) product and
package shapes (e.g., long and thin) suggesting
light - how generic packaging regulation of package
design along with labeling
43Misleading descriptors from labeling to
packaging
Before the ban on misleading descriptors
After the ban
44Tax/Price-Smuggling-Labeling-Licensing
- If goal is to increase the price/tax, we
- must address
- anti-smuggling provisions
- why industry involvement in organized smuggling
- how labeling export bonding and reporting
requirements - labeling
- why counterfeiting, falsified documents (e.g.,
country of destination) - how country of origin and destination, mfgr
info, serial/ license numbers, etc. on
packages/cartons/boxes)
45Tax/Price-Smuggling-Labeling-Licensing, contd
- packaging
- why single stick sales make products more
affordable - how minimum pack size
- licensing
- why allows tracking of companies, sanctioning
- how licensing of manufacturers, wholesalers,
importers, exporters, and retailers, if feasible