| Literature DB >> 33272942 |
Catherine Pereira-Kotze1, Tanya Doherty2,3, Elizabeth C Swart4,5.
Abstract
In South Africa (SA), exclusive breast feeding remains rare, with breast-milk substitutes (BMS) commonly being used in ways that are detrimental to infant and young child nutrition, health and survival. The use of internet, digital and mobile platforms has increased, including in low-income and middle-income countries, like SA and these platforms are avenues for BMS marketing. SA has national legislation (Regulation R991) to enforce the International Code of Marketing of BMS. This paper aims to provide pertinent examples of how BMS manufacturers in SA use social media to market their products thus violating national regulations. A digital (and social media) ethnography approach was used to study BMS organisations' activity on Facebook and Instagram. Purposively selected examples of social media posts observed (from 2015 to 2019) were included, and content analysed in terms of national legislation. Several examples of BMS social media marketing are presented and interpreted according to provisions of national regulations that they violate. BMS manufacturers have found ways on social media to market their products in a media space that is complex to regulate, and where it is difficult to enforce national regulations. It is necessary to engage with stakeholders, notably social media companies, to alert them to relevant regulations applicable to their platforms. Monitoring the marketing of products for infants and young children by national governments needs to include online and digital platforms especially social media. © Author(s) (or their employer(s)) 2020. Re-use permitted under CC BY-NC. No commercial re-use. See rights and permissions. Published by BMJ.Entities:
Keywords: child health; health policy; nutrition; public health
Mesh:
Year: 2020 PMID: 33272942 PMCID: PMC7716659 DOI: 10.1136/bmjgh-2020-003574
Source DB: PubMed Journal: BMJ Glob Health ISSN: 2059-7908
An example of various Facebook pages that SA consumers have access to and that are managed by a single BMS manufacturer (accessed (online) 9 July 2020)
| Name of facebook page | Description of page | No of likes | Weblink to the page or group |
| Nestlé (global) | Product/Service | 11 502 640 | |
| Nestlé Baby& Me South Africa* | Baby Goods/Kids Goods | 84 721 | |
| Nido SA | Product/Service | 62 101 | |
| Nestlé Breakfast Cereals SA | Food & drink company | 49 841 | |
| Nestlé Nutrition Institute | Science | 17 871 | |
| Nespray SA | Baby Goods/Kids Goods | 8 270 | |
| Nestlé NANKID 4 SA | Product/Service | 4 316 |
*Formerly called Nestlé Start Strong Stay Strong.
BMS, breast-milk substitutes; SA, South Africa.
Figure 1Example of a Facebook post from ‘Nestlé baby & Me South Africa’ page that violates provision 7 (1) and 7 (2) of the SA regulation R991.29 SA, South Africa.
Figure 2Example of an Instagram post from purity that violates provisions 2 (1) and 3 of the SA regulation R991.30 SA, South Africa.
Figure 3Example of a Facebook post by a Nestlé Facebook page that violates provision 7 (5) of the regulation R991.
Figure 4Example of a Facebook post by a Nestlé Facebook page that violates provision 7 (5) of the regulation R991.31