Last updated: March 12, 2021

Sales Restrictions

Sale of single cigarettes/sticks

Allowed
Analysis

The law does not specifically prohibit the sale of single cigarette sticks; therefore, the law is interpreted as permitting the sale of single cigarette sticks.

To align with FCTC Art. 16, the law should prohibit the sale of single cigarettes as this increases the affordability of cigarettes to minors.

Sale of tobacco products via vending machines

Banned
Analysis

The law prohibits vending machine sales of tobacco products.

The law aligns with FCTC Art. 13, the FCTC Art. 13 Guidelines, and FCTC Art. 16 with respect to vending machine sales.

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. The law does prohibit the delivery of tobacco products through the mail or express messenger. Absent an explicit ban on internet tobacco sales, however, this prohibition is not interpreted as relating to internet 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

Banned
Analysis

The law prohibits the sale of tobacco products in academic institutions.

Playgrounds

Allowed
Analysis

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

Stadiums/arenas

Allowed
Analysis

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

Healthcare facilities

Banned
Analysis

The law prohibits the sale of tobacco products in healthcare facilities.

Cultural facilities

Allowed
Analysis

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

Athletic facilities

Banned
Analysis

The law prohibits the sale of tobacco products in athletic facilities.

Retail Package Size Restrictions

Minimum number of cigarette sticks per unit package

No
Analysis

The law does not require a minimum number of cigarette sticks per unit package.

To align with FCTC Art. 16, the law should prohibit the sale of small packets of cigarettes which increase the affordability to minors.

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

Yes
Analysis

The law requires retail traders in tobacco products to obtain a license to sell tobacco products.

The law aligns with FCTC Art. 15 in that the law requires retailers to obtain a license or equivalent approval to sell tobacco products.