Product A is a flavored product that appeals to youth and has rapidly gained in popularity among youth.
Product B is a flavored product that appeals to youth and has rapidly gained in popularity among youth.
Product A is largely manufactured by companies that have a history of marketing to youth.
Product B is largely manufactured by companies that have a history of marketing to youth.
Product A is potentially addictive.
Product B is potentially addictive.
Product A is thought to entice youth to use the product because of its appealing flavor varieties.
Product B is thought to entice youth to use the product because of its appealing flavor varieties.
Product A is not known to have caused any deaths among youths nor has it been linked to chronic disease.
Product B causes thousands of youth deaths each year and is known to cause chronic disease, including cancer.
Product A is being used by millions of adults to immediately improve their health and essentially save their lives.
Product B causes cancer even at low doses and does not have any overall health benefits.
The Rest of the Story
The American Cancer Society is lobbying aggressively for a complete ban on Product A.
The American Cancer Society seems perfectly content to let Product B stay on the market, essentially unregulated. It is not promoting a ban on Product B or even strict regulation of marketing for Product B, even though it is a leading cause of cancer in the United States.
If you haven't guessed yet, Product A is flavored electronic cigarettes.
Product B is flavored alcoholic beverages.
The American Cancer Society is calling for a ban on flavored e-cigarettes based on the premise that if a potentially harmful product uses flavors that appeal to youth, it should be taken off the market. However, they are not calling for a similar ban on flavored alcoholic beverages even though these products use flavors that appeal to youth and are far more harmful than nicotine vapes.
While its website is chock full of advocacy efforts to eliminate flavored e-cigarettes, I am unable to find a single mention of any similar effort to prohibit or even just to regulate flavored alcoholic beverages.
This inconsistency raises the question of why? Why should alcohol companies be allowed to market flavored alcoholic beverages to underage youth and why should these products remain on the market essentially unregulated while flavored vapes are completely banned?
Presumably, the American Cancer Society is not pushing for a ban on flavored alcoholic beverages because it understand the need for these products to remain on the market because they are also used by many adults. Then why is it pushing for a ban on flavored e-cigarettes even though they, too, are used by many adults? If anything, it would make more sense to ban flavored alcoholic beverages because they do not have any health benefits for adults but cause thousands of deaths every year.
This suggests that somehow, the American Cancer Society values adults who are potentially harming their health by drinking more than it values adults who are undoubtedly improving their health by switching from smoking to vaping. To promote a ban on flavored e-cigarettes, you really have to be OK with punishing smokers who use e-cigarettes as a cessation tool. If you are really trying to prevent cancer, it should be more important to address the enormous problem of the use of flavored alcohol products among underage drinkers--a product that has been demonstrated to be a starter drink that leads to heavier alcohol consumption, a cause of thousands of cancer deaths each year--than to ban flavored vapes that have been demonstrated to lead to decreases in youth smoking rates and for which there is no evidence that it causes cancer.
On the other hand, the American Cancer Society is perfectly OK with smokers quitting by using medications (like varenicline) that are manufactured by pharmaceutical companies which have donated huge amounts of money to them.