Dear Ministers,
The signatories to this letter would like to present suggestions to the ongoing negotiations on the Audiovisual Media Services Directive (AVMSD), relating to commercial communications.
Obesity and alcohol consumption are major causes of preventable ill-health and early death.
Currently, over half of EU citizens are overweight or obese and Europe's prevalence rate for children's (aged 5 to 17) obesity is greater than 30%. Becoming obese earlier in life clearly amplifies certain health risks.
Europe is also the heaviest drinking region in the world, with high alcohol use among adolescents. On average, four in five students (aged 15 to 16) report lifetime alcohol experience and every second student reported alcohol use in the last 30 days.
These consumption patterns amplify certain health risks which pose a burden on the sustainability of health systems.
It is well-established that advertising causes both early onset and changes in consumption patterns, favouring the products advertised.
Nevertheless, children and young people in Europe are still subjected to the aggressive marketing of alcohol and foods high in fat, sugar and salt (HFSS) on a frequent basis.
The ongoing revision of the Audiovisual Media Services Directive (AVMSD) presents a key opportunity to reduce exposure of Europe's children to commercial communications for products that can harm their health (health-harmful products) – it is an opportunity that should not be missed by EU governments.
We note that there are some positive aspects in the European Commission's proposal – for example, recognition of exposure as problematic. However, it relies on weak policy measures, such as self-regulation, and fails to provide effective protection of children from commercial communications.
The European Parliament's position, as adopted by its lead committee, weakens the commission's proposal, and we are greatly concerned that the EU institutions will fail to grasp this once-in-a-decade opportunity to protect children from commercial communications of health-harmful products.
We identified three improvements to the EU commission's proposal for AVMSD – to better achieve the objective of the AVMSD and to minimise children's exposure to HFSS food and alcohol marketing:
1. Minimise children's exposure to the marketing of health-harmful products:
Mandatory measures are needed to minimise the exposure of children to health-harmful marketing, regardless of whether the advertising is directly aimed at them or not.
Measures should cover television, on-demand services and online video-sharing platforms and include a mandatory provision for member states to determine and implement a watershed that adequately captures children's and adolescents' viewing times depending on the country.
Self-regulation and voluntary commitments without a regulatory framework have, to date, failed to achieve meaningful reductions in exposure. We strongly recommend that you keep a reference to the World Health Organization's (WHO's) nutrient profile model as a means of defining HFSS foods.
2. Exclude alcohol and HFSS food from product placement and sponsorship:
Product placement and sponsorship of alcoholic beverages and HFSS food are effective marketing techniques, and should be prohibited alongside tobacco and medicinal products – and not just from children's programmes or those with a significant children's audience.
3. Ensure that Member States can effectively limit broadcasts from other countries on public health grounds:
The efforts of front-runner governments to reduce the negative health effects of alcohol and HFSS food marketing must not be undermined by broadcasters established in other EU member states. The European Commission's proposal to this effect should be supported.
We hope to work constructively with you to develop a final text of the revised AVMSD that more effectively protects children and adolescents from commercial communications of health-harmful products.
Yours sincerely,
With kind regards,
Alcohol Policy Youth Network (APYN)\nEuropean Association for Study of the Liver (EASL)\nEuropean Centre for Monitoring Alcohol Marketing (EUCAM)\nEuropean Heart Network (EHN)\nEuropean Public Health Alliance (EPHA)\nIOGT International\nInternational Association of Mutual Benefit Societies (AIM)\nStanding Committee of European Doctors (CPME)\nUnited European Gastroenterologist (UEG)\nAlcohol Action Ireland (AAI)\nBritish Medical Association (BMA)\nCancer Research UK\nIOGT- NTO\nInstitute of Alcohol Studies (IAS)\nScottish Health Action on Alcohol Problems (SHAAP)\nSTAP\nEuropean Alcohol Policy Alliance (Eurocare)
This letter was written by 17 public health organisations, as listed above. An online copy of the letter can be found here.