Literature DB >> 17973570

Should the health community promote smokeless tobacco (snus): comments from British American Tobacco.

Justine Williamson, Christopher Proctor.   

Abstract

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Year:  2007        PMID: 17973570      PMCID: PMC2043003          DOI: 10.1371/journal.pmed.0040300

Source DB:  PubMed          Journal:  PLoS Med        ISSN: 1549-1277            Impact factor:   11.069


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Chapman and Freeman question the tobacco industry's aims on snus, and whether these aims can be consistent with harm reduction [1]. We cannot speak on behalf of the industry as a whole. However, we at British American Tobacco understand that cigarette smoking is a major cause of serious and fatal diseases, and we believe that the use of Swedish-style snus products, while not harmless, is substantially less harmful than cigarette smoking [2]. We are piloting snus in several countries outside of Sweden as a response to those public health stakeholders who have told us they believe that snus, properly regulated, can contribute to reducing the net public health impact of tobacco use. We believe adult consumers of tobacco products would benefit from the enactment of a regulatory framework that facilitates consistent, accurate, and meaningful communications on the relative health risks of smoking, using snus, or abstaining entirely from tobacco use. While ideally this framework would be developed and agreed upon under the Framework Convention for Tobacco Control, the recent second Conference of the Parties to the Framework Convention did not address oral tobacco products and has not assigned a high priority to tobacco product regulation in this area. Given this, we think national governments should develop a regulatory framework for snus. In doing so, we think that governments should be mindful of the concerns expressed by Chapman and Freeman. We agree with the recently released preliminary report from the European Union's Scientific Committee on Emerging and Newly Identified Health Risks, which states that “the balance of these effects [beneficial versus adverse effects on smoking prevalence] will be highly dependent upon the marketing of the product, the health messages delivered with it, and the extent to which switching to smokeless tobacco products as a harm reduction strategy is endorsed by health professionals and their organisations” [3]. We acknowledge that some have concerns with regard to our interest in snus as a less harmful alternative to cigarettes. We seek to work with the public health community and regulators to achieve a reduction in the public health impact of tobacco use.
  2 in total

1.  The relative risks of a low-nitrosamine smokeless tobacco product compared with smoking cigarettes: estimates of a panel of experts.

Authors:  David T Levy; Elizabeth A Mumford; K Michael Cummings; Elizabeth A Gilpin; Gary Giovino; Andrew Hyland; David Sweanor; Kenneth E Warner
Journal:  Cancer Epidemiol Biomarkers Prev       Date:  2004-12       Impact factor: 4.254

2.  Should the health community promote smokeless tobacco (snus) as a harm reduction measure?

Authors:  Coral E Gartner; Wayne D Hall; Simon Chapman; Becky Freeman
Journal:  PLoS Med       Date:  2007-07       Impact factor: 11.069

  2 in total
  2 in total

1.  Understanding the emergence of the tobacco industry's use of the term tobacco harm reduction in order to inform public health policy.

Authors:  Silvy Peeters; Anna B Gilmore
Journal:  Tob Control       Date:  2014-01-22       Impact factor: 7.552

Review 2.  Regulation of toxic contents of smokeless tobacco products.

Authors:  Amit Kumar; Deeksha Bhartiya; Jasmine Kaur; Suchitra Kumari; Harpreet Singh; Deepika Saraf; Dhirendra Narain Sinha; Ravi Mehrotra
Journal:  Indian J Med Res       Date:  2018-07       Impact factor: 2.375

  2 in total

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