Orientering om udlevering af positionspapir på tobak og nikotin, fra indenrigs- og sundhedsministeren

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Følgebrev til SUU.docx

https://www.ft.dk/samling/20231/almdel/suu/bilag/380/2899473.pdf

Til Folketingets Sundhedsudvalg
Til udvalgets orientering fremsendes det danske positionspapir på tobak og nikotin,
som dannede baggrund for opfordring til revision af Tobaksvaredirektivet og
Tobaksreklamedirektivet på rådsmødet i Luxembourg den 21. juni 2024.
Kommissionen kvitterede for positionspapiret, som desforuden fik bred opbakning i
Rådet, bl.a. fra Tyskland, Frankrig og Spanien.
Med venlig hilsen
Sophie Løhde
Slotsholmsgade 10-12
DK-1216 København K
T +45 7226 9000
M sum@sum.dk
W sum.dk
Dato: 29-08-2024
Enhed: EU-enhed
Sagsbeh.: Sascha Maria Noomi
Löwenstein
Koordineret med:
Sagsnr.: 2024 - 8261
Dok. nr.: 200744
Offentligt
SUU Alm.del - Bilag 380
Sundhedsudvalget 2023-24


Dansk positionspapir på tobak og nikotin.docx

https://www.ft.dk/samling/20231/almdel/suu/bilag/380/2899474.pdf

AOB EPSCO (Health) Council 21 June 2024
Strengthening efforts to protect children from direct marketing and sale of
tobacco and nicotine products, especially on digital platforms
Information from Denmark on behalf of Denmark, Estonia, Finland, France, Germany, Ireland,
Luxembourg, Malta, the Netherlands, Poland, Slovenia and Spain
As a society we are responsible for ensuring the best possible framework for our children and young people that
allows them to develop and grow and live their lives to the full. Tobacco and nicotine products are not
compatible with such a framework.
Tobacco kills. It is highly addictive and its use over time is deadly. Despite all our efforts tobacco remains the
single greatest cause of premature death in the EU. Lifelong addiction resulting in early death is what tobacco
offers its users. This is not the prospect we should be offering to so many of our young people today.
New research shows that nicotine itself is a health hazard, especially for young people. Nicotine consumption
affects the brain and results in problems with concentrating and learning new skills - something which is
essential for young people. Furthermore, nicotine can affect the mental well-being of our children, causing
depression and making them prone to anxiety. Children and adolescents are more sensitive to the negative side
effects of nicotine consumption and are also more prone to addiction than adults1
.
In recent years, the choice of tobacco and nicotine products has grown exponentially and many are explicitly
marketed to appeal to children and adolescents – for example with flavours of watermelon, strawberry, gum,
chocolate etc. They are packaged and presented almost as if they were sweets and they are readily available for
young people. Common for these products is that the majority contains nicotine – some with extremely high
amounts. A highly addictive substance as nicotine that is a health hazard is being aggressively marketed towards
our children. This tactic is working. The early onset of nicotine addiction via attractive products for young people
will often lead to life-long nicotine use inclusive the switch to tobacco products as cigarettes. A recently
published report2
shows that the number of children and young people being introduced to nicotine is
increasing as is consumption of a broad range of tobacco and nicotine products.
We are very concerned about the developments we see in marketing and sales of new tobacco and nicotine
products. Many member states have already taken steps nationally to combat increasing nicotine addiction
amongst children and young people. Initiatives to regulate these products and make them less attractive and
accessible for children have been introduced, but tobacco and nicotine products are not limited by borders and
national regulations. They are easily accessible on the internet and from countries that have not developed a
legal framework for such products. We need an ambitious European solution if we are to address this problem
efficiently and to protect our children and young people from the harmful effects of nicotine and products that,
in addition, can be a gateway for tobacco products.
We must set a high bar and future-proof the tobacco legislation to ensure that both new and future products fall
within the regulatory scope and that social media providers take greater responsibility for marketing and sale of
tobacco and nicotine products on their platforms, especially aimed at children. Initiatives should include a ban
on flavours in nicotine products, a limit on nicotine content in these products and, where necessary, a ban on
certain products. We must do this to protect our children from falling prey to addiction to nicotine. We are
therefore calling on the new European Commission to act and to put forward proposals as soon as possible to
help us protect our children and young people from the harmful effects of tobacco and nicotine products. More
broadly, we are calling the Commission to initiate a debate on nicotine-based products, while allowing it to
examine the range of possible regulations, which could make it possible for Member States to ban defined
product categories as well.
1
Brug af røgfrie nikotinprodukter blandt unge (sst.dk)
2
§RØG – En undersøgelse af tobak, adfærd og regler (sst.dk)
Offentligt
SUU Alm.del - Bilag 380
Sundhedsudvalget 2023-24