Last updated: May 15, 2020

Sales Restrictions

Sale of single cigarettes/sticks

Banned
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Analysis

The law prohibits the sale of single cigarette sticks.

The law aligns with FCTC Art. 16 in that the law prohibits the sale of single cigarettes.

Sale of tobacco products via vending machines

Some Restrictions
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Analysis

The law prohibits the sale of tobacco products by vending machine in places accessible by minors. However, the law does not prohibit all vending machine sales of tobacco products. Therefore, the regulatory status code “Some Restrictions” is given.

The law aligns with FCTC Art. 16 in that it prohibits vending machine sales to minors. To align with FCTC Art. 13 and the FCTC Art. 13 Guidelines, the law should prohibit all vending machine sales of tobacco products as such sales are an inherent form of tobacco advertising and promotion.

Sale of tobacco products via the internet

Allowed
Analysis

The law does not specifically prohibit or restrict the sale of tobacco products through the internet; therefore, the law is interpreted as permitting internet tobacco product sales.

To align with FCTC Art. 13 and the FCTC Art. 13 Guidelines, the law should prohibit internet tobacco product sales as internet sales are an inherent form of tobacco advertising and promotion.

Sale of smokeless tobacco products

Allowed
Analysis

The law does not specifically prohibit the sale of smokeless tobacco products; therefore, the law is interpreted as permitting the sale of smokeless tobacco products.

Sale of waterpipe tobacco products

Allowed
Analysis

The law does not specifically prohibit the sale of waterpipe tobacco; therefore, the law is interpreted as permitting the sale of waterpipe tobacco.

Location-based Sales Restrictions

Schools/educational facilities

Allowed
Analysis

The law does not restrict the sale of tobacco products based on location; therefore, the law is interpreted as permitting the sale of tobacco products in schools/educational facilities.

Playgrounds

Allowed
Analysis

The law does not restrict the sale of tobacco products based on location; therefore, the law is interpreted as permitting the sale of tobacco products on playgrounds.

Stadiums/arenas

Allowed
Analysis

The law does not restrict the sale of tobacco products based on location; therefore, the law is interpreted as permitting the sale of tobacco products in stadiums/arenas.

Healthcare facilities

Allowed
Analysis

The law does not restrict the sale of tobacco products based on location; therefore, the law is interpreted as permitting the sale of tobacco products in healthcare facilities.

Cultural facilities

Allowed
Analysis

The law does not restrict the sale of tobacco products based on location; therefore, the law is interpreted as permitting the sale of tobacco products in cultural facilities.

Retail Package Size Restrictions

Minimum number of cigarette sticks per unit package

Yes
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Analysis

The law prohibits the manufacture and import of cigarettes in packages that contain fewer than 10 cigarettes. This effectively bans the sale of packs with fewer than 10 cigarettes.

The law aligns with FCTC Art. 16 with respect to the sale of small packets of cigarettes. To more fully align, the law should require a minimum of 20 cigarette sticks per packet.

Minimum weight of smokeless tobacco per unit package

No
Analysis

The law does not require a minimum weight per unit package of smokeless tobacco.

Retail Licensing Requirements

Specific retail license or equivalent approval required to sell tobacco products

No
Analysis

The law does not require a specific retail license or equivalent approval to sell tobacco products.

To align with FCTC Art. 15, the law should require retailers to obtain a license or equivalent approval to sell tobacco products.