R Street Testimony in Opposition of the Southwick Board of Health Regulations Restricting the Sale of Reduced Risk Nicotine Products
Testimony from:
Jeffrey S. Smith, Senior Fellow, Integrated Harm Reduction, R Street Institute
R Street Testimony in Opposition of the Southwick Board of Health Regulations Restricting the Sale of Reduced Risk Nicotine Products.
October 3, 2024
Southwick, Massachusetts – Board of Health
Chairwoman Brzoska and members of the board,
My name is Jeff Smith, and I am a senior fellow on the Integrated Harm Reduction team at the R Street Institute. The R Street Institute is a nonprofit, nonpartisan public policy research organization. Our mission is to engage in policy research and outreach to promote free markets and limited, effective government in many areas. Our efforts to promote tobacco harm reduction are why we are particularly interested in this proposed regulation before the Southwick Board of Health.
The R Street Institute has been a staunch advocate for limiting the sale of nicotine-related products to those who are 21 years of age and older – supporting national efforts in 2019 to raise the age to 21 to purchase such products. In parallel, R Street is also concerned with the health-related consequences of inhaling combustible cigarette smoke by adult consumers. We strongly support varied pathways for quitting smoking, which include access to a wide array of alternative, reduced-risk nicotine products, including Electronic Nicotine Delivery Systems (ENDS), Heated Tobacco Systems (HnB), and Oral Tobacco and Nicotine Products (Snus).
Massachusetts’ attempts to curb youth use of tobacco products have been squarely focused on prohibition, namely all flavored products, and taxation through application of a 75% excise tax on ENDS – commonly known as vapes. Inadvertently, increased illicit tobacco was the byproduct of such prohibitions as documented in the 2023 Annual Report of Multi-Agency Illegal Tobacco Task Force.[1]
The proposed regulations aim to further reduce youth access by banning the sales of nicotine pouches unless purchased at adult-only stores. While RSI applauds the Board’s goal of preventing youth use of such products, we are concerned that restricting sales of these established reduced-risk products will do little to protect young people while unintentionally harming adult smokers and, with them, the health of the Southwick community. While at first glance, this seems like a reasonable strategy to limit youth access, these restrictions are misguided (at best) for several reasons.
On Dec. 20, 2019, Tobacco 21 (also called “T21”) was signed into law as an amendment to the Federal Food, Drug, and Cosmetic Act.[2] This law made it illegal for anyone under the age of 21 to purchase any tobacco or nicotine product, and it has drastically decreased the use of such products among underage individuals. The existence of this law is a primary driver for the reduction of youth vaping across the country.[3] Nationally, the first line of defense against youth access to adult-only products has been retailers – primarily gas stations and convenience stores. For decades, these types of establishments have had methods in place to effectively manage the process of age verification at point-of-sale for alcohol products, lottery tickets, and tobacco/nicotine products. These methods are state-of-the-art, and specific training and standard operating procedures are established and function well within the workflow of these vital community establishments.[4] Transferring these responsibilities to other businesses (adult-only retail establishments like vape shops and head shops) will limit the likelihood of success simply due to the lack of resources and processes that currently exist within these establishments.[5] Additionally, the financial impact on these vital establishments (gas stations/convenience stores) if the proposed regulation is approved will be significant. The losses from the sale of tobacco/nicotine products will put additional stress on the owners, requiring the reduction of staffing, reduced hours, and even the potential closure of these important small businesses.[6] If these regulations are passed, there will be a net loss for the community.
The implementation of the proposed regulations will also place additional barriers in front of members of your community who are on a journey to a combustion-free life. If cigarettes are still readily available in gas stations and convenience stores, but access to reduced-risk products is only available at other establishments, the citizen will have to exert additional effort in order to obtain products that, if they switched to completely, have been shown to dramatically improve their health.[7] While to some, this additional effort may seem minimal, to a smoker in the transition process, it could be the difference between continuing to smoke versus a safer, although not completely safe, alternative.
Oral nicotine products such as Snus and nicotine pouches have been shown to be useful tools in reducing the harm associated with smoking. As an example, over the last thirty years, epidemiological evidence has shown that the uptake of snus by people who were smokers has reduced the prevalence of tobacco smoking in Sweden, where the male smoking prevalence is now among the lowest in the world.[8] Snus use has also substantially reduced deaths from tobacco-related cancers in Swedish men and has done so without increasing the prevalence of cigarette smoking among young people.[9] Though there have been recent concerns expressed by some that new nicotine pouches are the next new risk for youth uptake, the evidence does not support the fear.[10] Currently, youth use of these products is very low. The CDC recently published data from the yearly National Youth Tobacco Survey that reported that youth use of these products was less than 1.8%.[11] These numbers have remained low and are likely stay at these low levels due to stricter access laws (T21) being in place, coupled with enhanced enforcement measures.
Continued access to reduced-risk products like nicotine pouches is critical to supporting adult smokers transition to a healthier life. While further restricting access to youth is a noble goal that we share, the proposed regulation is a solution in search of a problem and will only make the lives of adult smokers interested in cessation more difficult. As such, the R Street Institute encourages you to consider how access to reduced-risk products impacts the health of all community members when considering important regulations such as the one being discussed by the Southwick Board of Health. We strongly urge you to reject this misguided proposal.
Thank you,
Jeffrey S. Smith, PhD
Senior Fellow, Integrative Harm Reduction
R Street Institute
jsmith@rstreet.org
See the original testimony below:
[1]Commonwealth of Massachusetts, “Annual Report of Multi-Agency Illegal Tobacco Task Force” https://www.mass.gov/doc/task-force-fy23-annual-report/download
[2] U.S. Food & Drug Administration, “Tobacco 21”, https://www.fda.gov/tobacco-products/retail-sales-tobacco-products/tobacco-21
[3] CDC/FDA, National Youth Tobacco Survey, https://www.cdc.gov/mmwr/volumes/72/wr/mm7244a1.htm?s_cid=mm7244a1_w
[4] NACS, TruAge Verification, https://www.mytruage.org/
[5] CBS San Francisco, “Undercover Study: Half Of California Tobacco And Vape Shops Don’t ID Teens,” https://www.cbsnews.com/sanfrancisco/news/undercover-study-tobacco-vape-shops-no-id-check-teens/
[6] NACS, 3 Potential Futures for the Backbar, https://www.convenience.org/Media/Daily/2024/June/17/2-3-Potential-Futures-for-the-Backbar_CatMan
[7] Grandolfo, Erika, Henry Ogden, Ian M Fearon, Layla Malt, Matthew Stevenson, Sarah Weaver, and Thomas Nahde. “Tobacco-Free Nicotine Pouches and Their Potential Contribution to Tobacco Harm Reduction: A Scoping Review.” Cureus 16, no. 2 (2024). https://www.ncbi.nlm.nih.gov/pmc/articles/PMC10944327/
[8] The Public Health Agency of Sweden. Use of Tobacco and Nicotine Products. Living Conditions and Lifestyle: Alcohol, Narcotics, Doping, Tobacco and Nicotine Products, and Gambling, https://www.folkhalsomyndigheten.se/the-public-health-agency-of-sweden/living-conditions-and-lifestyle/andtg/tobacco/use-of-tobacco-and-nicotine-products/
[9] Daniel Roth, H, Adam B Roth, and Xiao Liu. “Health Risks of Smoking Compared to Swedish Snus.” Inhalation toxicology 17, no. 13 (2005): 741-48. https://www.tandfonline.com/doi/abs/10.1080/08958370500224698
[10] CBS News, Schumer calls for federal action on Zyn nicotine pouches, https://www.cbsnews.com/newyork/news/schumer-calls-for-federal-action-on-zyn-nicotine-pouches/
[11] FDA-CTP, Results from the Annual National Youth Tobacco Survey, https://www.fda.gov/tobacco-products/youth-and-tobacco/results-annual-national-youth-tobacco-survey