| Literature DB >> 28118411 |
Florentine Petronella Martino1, Peter Graeme Miller1, Kerri Coomber1, Linda Hancock2, Kypros Kypri3,4.
Abstract
A growing body of literature points to the role of vested interests as a barrier to the implementation of effective public health policies. Corporate political activity by the alcohol industry is commonly used to influence policy and regulation. It is important for policy makers to be able to critique alcohol industry claims opposed to improved alcohol marketing regulation. The Australian National Preventive Health Agency reviewed alcohol marketing regulations in 2012 and stakeholders were invited to comment on them. In this study we used thematic analysis to examine submissions from the Australian alcohol industry, based on a system previously developed in relation to tobacco industry corporate political activity. The results show that submissions were a direct lobbying tactic, making claims to government that were contrary to the evidence-base. Five main frames were identified, in which the alcohol industry claimed that increased regulation: (1) is unnecessary; (2) is not backed up by sufficient evidence; (3) will lead to unintended negative consequences; and (4) faces legal barriers to implementation; underpinned by the view (5) that the industry consists of socially responsible companies working toward reducing harmful drinking. In contrast with tobacco industry submissions on public policy, which often focused on legal and economic barriers, the Australian alcohol industry placed a heavier emphasis on notions of regulatory redundancy and insufficient evidence. This may reflect differences in where these industries sit on the 'regulatory pyramid', alcohol being less regulated than tobacco.Entities:
Mesh:
Year: 2017 PMID: 28118411 PMCID: PMC5261775 DOI: 10.1371/journal.pone.0170366
Source DB: PubMed Journal: PLoS One ISSN: 1932-6203 Impact factor: 3.240
Submissions by stakeholder groups.
| Stakeholder Group | N | Contributors (Referred to in this paper) |
|---|---|---|
| Alcohol industry (included in analysis) | 9 | • Winemakers' Federation of Australia (WFA) |
| Media and marketing industry | 9 | • Advertising Standards Bureau (ASB) |
| Non-government organizations/public health academics | 8 | • Victorian Alcohol and Drug Association (VAADA) |
| Public servants | 3 | • Murrumbidgee Local Health District |
| Other (including 3 confidential submissions) | 5 | • Mr Sarosh Mehta |
| Total | 34 |
Claims used by the alcohol industry attempting to influence marketing regulation using Savell et al.’s classification framework.
| Regulatory Redundancy (8) | Industry only markets to those of legal age/is actively opposed to minors using product (4) | ||||||||||
| Current self-regulation is satisfactory | |||||||||||
| 2b | |||||||||||
| Industry adheres to own self-regulatory codes (5) | |||||||||||
| Codes are supported by the government | |||||||||||
| Most consumers drink responsibly | |||||||||||
| Drinking is part of a healthy lifestyle | |||||||||||
| Suggesting alternative policy strategies that address harmful consumption of minority that misuses alcohol | |||||||||||
| Disputing community concern/ codes are in line with community expectations | |||||||||||
| Alcohol industry encourages responsible consumption | |||||||||||
| Insufficient Evidence (8) | There’s insufficient evidence that the proposed policy will work / marketing doesn’t increase overall consumption levels (marketing is used to convince individuals switch brands and to sustain or increase company’s market share), so regulation will have no effect | More research is needed, insufficient evidence for causal link between marketing and increased consumption levels (5) | |||||||||
| Marketing only affects market share (5) | |||||||||||
| Reporting on declining trends of alcohol consumption (5) | |||||||||||
| Biased public health advocates | |||||||||||
| Negative Unintended Consequences (6) | Economic (6) | Manufacturer (4) | Regulation will cause problems maintaining or increasing market share for existing brands | ||||||||
| Regulation will cause difficulties for new market entrants | |||||||||||
| Associated Industries (4) | Regulation will result in financial or job losses (among retailers or associated industries, e.g. agriculture, hospitality, tourism, manufacturing and logistics) (4) | ||||||||||
| Public Revenue (2) | Loss of direct contribution to the Australian economy by alcohol industry | ||||||||||
| Consumers | Impacts on consumer choice | ||||||||||
| Public Health (1) | Regulation might impact negatively on health outcomes in moderate drinkers | ||||||||||
| Legal (5) | Regulatory Impact Statement (RIS) needs to be developed before proposing new regulation | ||||||||||
| Body does not have the power to regulate/it’s beyond their jurisdiction (3) | |||||||||||
| Corporate Social Responsibility | Supporting efforts and programs to reduce harmful consumption | ||||||||||
| We are members of DrinkWise | |||||||||||
| Regulatory Redundancy (8) | Industry only markets to those of legal age/is actively opposed to minors using product (4) | ||||||||||
| Current self-regulation is satisfactory | |||||||||||
| 2b | |||||||||||
| Industry adheres to own self-regulatory codes (5) | |||||||||||
| Codes are supported by the government | |||||||||||
| Most consumers drink responsibly | |||||||||||
| Drinking is part of a healthy lifestyle | |||||||||||
| Suggesting alternative policy strategies that address harmful consumption of minority that misuses alcohol | |||||||||||
| Disputing community concern/ codes are in line with community expectations | |||||||||||
| Alcohol industry encourages responsible consumption | |||||||||||
| Insufficient Evidence (8) | There’s insufficient evidence that the proposed policy will work / marketing doesn’t increase overall consumption levels (marketing is used to convince individuals switch brands and to sustain or increase company’s market share), so regulation will have no effect | More research is needed, insufficient evidence for causal link between marketing and increased consumption levels (5) | |||||||||
| Marketing only affects market share (5) | |||||||||||
| Reporting on declining trends of alcohol consumption (5) | |||||||||||
| Biased public health advocates | |||||||||||
| Negative Unintended Consequences (6) | Economic (6) | Manufacturer (4) | Regulation will cause problems maintaining or increasing market share for existing brands | ||||||||
| Regulation will cause difficulties for new market entrants | |||||||||||
| Associated Industries (4) | Regulation will result in financial or job losses (among retailers or associated industries, e.g. agriculture, hospitality, tourism, manufacturing and logistics) (4) | ||||||||||
| Public Revenue (2) | Loss of direct contribution to the Australian economy by alcohol industry | ||||||||||
| Consumers | Impacts on consumer choice | ||||||||||
| Public Health (1) | Regulation might impact negatively on health outcomes in moderate drinkers | ||||||||||
| Legal (5) | Regulatory Impact Statement (RIS) needs to be developed before proposing new regulation | ||||||||||
| Body does not have the power to regulate/it’s beyond their jurisdiction (3) | |||||||||||
| Corporate Social Responsibility | Supporting efforts and programs to reduce harmful consumption | ||||||||||
| We are members of DrinkWise | |||||||||||
* Frame or claim developed by Martino et al. 2014
# Frame or claim taken from Savell et al. and adapted for the alcohol industry by Martino et al. 2014
‡Researcher assigned quote number; referred to in the results section text
The following claims, taken from Savell et al.’s corporate political activity framework, were not used by the Australian Alcohol Industry: The health impacts of consumption remain unproven; The cost of compliance for manufacturers will be high/the time required for implementation has been underestimated; Regulation will cause an increase in illicit trade; Regulation could have other negative unintended consequences; Infringes legal rights of company (trademarks, intellectual property etc.); Regulation is more extensive than necessary/regulation is disproportionate; Regulation will cause an increase in compensation claims.