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Item 39 - Ordinance Prohibiting the Sale of Flavored Tobacco Products
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Item 39 - Ordinance Prohibiting the Sale of Flavored Tobacco Products
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8/16/2023 3:53:23 PM
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Agenda Packet
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City Manager's Office
Item #
39
Date
12/21/2021
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Most US states have had laws to using these products is high."An Ethics Statement <br />restrict the sale of cigarettes to additional gap in understanding the <br />The stud approved b the <br />minors for decades.'Because there effectiveness of youth tobacco access <br />y was pp y <br />University of Southern California <br />was widespread violation of these restriction is during the transition <br />laws by tobacco vendors, <br />z Congress to the legal age of purchase.Most <br />Institutional Review Board.Parental <br />written informed consent and <br />passed the Synar Amendment to the adult smokers historically have <br />Public Health Service Act in 1993,3 initiated cigarette use by age 18,12 <br />child assent were obtained for all <br />which required that states enact laws which is the legal age of purchase 18 y <br />Children's Health Study participants <br />18 y of age.Participants age 18 <br />banning cigarette sales to minors in most states.There have been few <br />and that they enforce such laws with prospective studies examining the or older provided written informed <br />consent. <br />compliance checks using undercover effect of tobacco licensing and youth <br />decoys"posing as underage access restriction on cigarette and <br />Tobacco and Alternative Tobacco <br />customers. <br />4-5 alternative tobacco product use Product Use <br />Enforcement of these youth access <br />during this transition to adult life. <br />At each survey,participants were <br />regulations is a central feature of US <br />Among participants in the Southern asked whether they had ever tried <br />tobacco control programs.However, California Children's Health Study, e-cigarettes,cigarettes,cigars,or <br />although compliance checks of <br />we evaluated whether youth living hookah and the number of days <br />vendors have been shown to reduce in jurisdictions with a strong tobacco each product was used in the past <br />sales to minors,their effectiveness retail licensing(TRL)ordinance had 30 days.12 Participants who had <br />in reducing youth smoking rates is reduced prevalence of cigarette and "never tried"a product(not"even 1 <br />less certain,for example,because <br />other tobacco use,compared with or 2 puffs")were classified as never <br />they may obtain cigarettes legally participants in jurisdictions with users.Those reporting an age at first <br />purchased by older friends.6,7 Key a poor TRL ordinance.In addition, use of each tobacco product were <br />regulatory features that are reported <br />using prospectively collected data, classified as ever(lifetime prevalent) <br />to reduce both compliance violations <br />we assessed the association of local users of that product at baseline. <br />and youth cigarette use include a <br />ordinances with the initiation of Rates of initiation were calculated on <br />mandatory tobacco retailer licensing tobacco product use during a cohort the basis of a new report of use of a <br />fee to provide sustainable funding of follow-up as youth reached 18 years tobacco product at follow-up among <br />undercover decoys to make at least 1 of age,the age at which the sale participants not reporting use of that <br />annual visit to each vendor and fines of tobacco products was legal in product at baseline.Both prevalent <br />or penalties for violations.7,8 <br />California at the time of the study. users and initiators of each tobacco <br />Low rates of vendor compliance product were further characterized <br />checks,which occur annually at only on the basis of past 30-day use. <br />a small fraction of tobacco vendors <br />under existingstate and federal <br />METHODS <br />Evaluation of Local Tobacco <br />enforcement programs, <br />9,10 and Regulatory Licensing to Reduce <br />inadequate penalties may explain Study Population Youth Access <br />why associations with youth smoking <br />rates have not consistently been <br />Between January and June of 2014,There were 14 political jurisdictions <br />observed. Within states,compliance <br />a total of 2097 11th-and 12th-grade with corresponding tobacco <br />enforcement may vary markedly <br />compliance <br />participants in the Southern product ordinances across the 12 <br />the basis of local ordinances that <br />California Children's Health Study participating Children's Health <br />provide funding to do so.riven the <br />mean age: 17.3;SD:0.6)completed Study communities.Four study <br />expense involved in enforcement <br />self-administered questionnaires jurisdictions were assigned an <br />and the lack of expert consensus on <br />collecting detailed information about A grade on the basis of the 2014 <br />its benefits,additional studies are <br />cigarette and alternative tobacco American Lung Association(ALA) <br />warranted to assess the effectiveness <br />product use.Follow-up online Reducing Sales of Tobacco Products" <br />in reducing youth cigarette use. <br />questionnaire data were collected to youth scale,which is used to <br />on 1553 participants(74%of the evaluate the strength of the local TRL <br />The impact of youth access 2097 at baseline)as they reached ordinance across California.ls An <br />restriction on the initiation of 18 years of age,between January A grade required adequate annual <br />alternative tobacco products,such as 2015 and June 2016(mean age: 18.8; retail license fees,which were paid <br />electronic cigarettes(e-cigarettes),SD:0.6).Additional characteristics by all tobacco retailers(including gas <br />hookah,and cigars,has not been of the study sample have been stations,convenience stores,larger <br />studied,although prevalence of ever described previously. <br />13,14 grocery stores,and pharmacies), <br />Downloaded from www.aappublications.org/news by guest on May 7,2019 <br />2 ASTOR et al
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