Discussing the USPS Vape Mail Rules (March 22nd Due Date!)

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Commenting on the USPS Vape Mail Regulations (March 22nd Deadline!)


Recently, the American Vaping Organization joined the Customer Supporters for Smoke-Free Alternatives Organization to offer a webinar on exactly how as well as why both customers as well as organizations need to react to the USA Post office’s vape mail policies.

With the target date for remarks showing up on Monday, March 22nd at 11:59 pm Eastern, we are launching both the webinar video clip as well as our draft remarks develop for company stakeholders. Organizations need to do not hesitate to make use of as much or as little of our example letter as you desire. Please make sure to modify the letter to complete your details! (If you are a customer of vaping items, CASAA has actually made it easy as well as simple for you to both documents a remark as well as call your chosen authorities in Congress.)

Send your remarks by means of e-mail currently!

Send by mail or provide created remarks to the Supervisor, Item Category, U.S. Postal Service, 475 L’Enfant Plaza SW, Room 4446, Washington, DC 20260-3436. Email comments, containing the name and address of the Commenter, may be sent to: PCFederalRegister@nullusps.gov, with a subject line of “E-Cigarette Restrictions.” 

WEBINAR VIDEO


Date of Comment Submission, 2021

U.S. Postal Service

475 L’Enfant Plaza, S.W.

Washington, DC 20260-3436

Re: Treatment of E-Cigarettes in the Mail

Draft Comments Outline on USPS Rulemaking on Treatment of E-Cigarettes in the Mail

I write today regarding the February 19, 2021 proposed revision to the United States Postal Service (USPS) Publication 52, Hazardous, Restricted, and Perishable Mail, to incorporate the Preventing Online Sales of E-Cigarettes to Children Act (the “PACT Act”), which was passed by Congress and signed by the President in December of 2020. In amending the definition of “cigarette” to include “electronic nicotine delivery systems,” or ENDS, USPS is now faced with limiting and regulating the mailability of a new category of products in federal statute.

[Who Are You? If you would like, share information on your business, the number of people you employ, any tax data, or relevant information about you and your business.]

PACT Act Protects B2B Mailability and Broad Business Purposes Exception for Legal ENDS

The clear Congressional intent of the PACT Act was to make ENDS subject to the same USPS mailability limitations and exceptions for cigarettes, roll-your-own tobacco, and smokeless tobacco outlined in 1716E of Title 18, U.S. Code, which was enacted on March 31, 2010. While USPS was forced to exit the business-to-consumer market for the shipment of most tobacco products over ten years ago, exceptions were created for business-to-business shipping. Specifically, USPS currently permits shipments between registered and authorized tobacco-related businesses for business purposes. This exception should continue for ENDS under the PACT Act and upon enactment of this Final Rule.  

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Retailers, such as the more than 4,000 “vape shops” in America, are subject to a wide range of business permits and regulatory sales licenses that ensure USPS is already in a position to quickly verify any and all ENDS shipments between businesses are covered by the existing business-to-business shipping exception granted to traditional tobacco firms.  

While few if any major tobacco companies have utilized the business purpose exception to the nonmailibility of cigarettes rule over the last decade, their unique business model has ensured that reliance on the USPS for the existence of a legal and regulated market has not been necessary. The same may not be true for the ENDS market, which is being jeopardized by the exiting of nearly all private common carriers such as FedEx, DHL, and UPS between now and April 5 for both business-to-business and business-to-consumer sales.

The refusal of FedEx, DHL, and UPS to service this market makes it all the more important that USPS preserve and reform all legal shipping options between verified businesses.

[Briefly share your business story on the importance of maintaining USPS as a carrier of ENDS to and from your business by other licensed businesses. If you have experience or knowledge, explain the importance of a reliable carrier like USPS efficiently handling and shipping ENDS between distributors and retailers across the country given the exit of FedEx and UPS from the market.]

Streamline, Digitize, and Simplify the B2B Exception Process

Given the significant number of businesses who may now come to rely on USPS as a legal carrier for ENDS under the business purposes exception, I urge you to simplify the exception process to ensure that there are no significant disruptions in the market for businesses seeking to provide adult smokers with lower risk alternatives to cigarettes. A wide range of businesses will need further guidance on the exception approval process and the specific information required to obtain approval to utilize USPS as a carrier of ENDS for business purposes. Ideally, this information would be available online before the final rule goes into effect to give businesses adequate time to apply for exceptions under the current permitted circumstances granted under statute and current practice.

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There are more than 10,000 ENDS businesses in the United States who may need exceptions granted under this process, making it important not only for businesses that there is clarity and simplicity to the process but also the USPS as well. In the absence of a final rule, the USPS will not accept applications from these businesses right now. This threatens to create a massive logjam when the final rule actually is published. The USPS must come up with a solution to ensure that legal businesses aren’t shut out from legal shipping options for months or years.

One way USPS could simplify the exception process would be digitizing not only the specific business requirements but also the exception application itself. By uploading the necessary permits and business filing documents online, USPS would have access to verified businesses anywhere in the nation, ensuring that there are not unnecessary delays in the shipping process for ENDS businesses. This online portal could also be used by applicant businesses to verify the status of an approval for utilizing USPS as a shipping provider of ENDS in a timely manner.

Given the ongoing national pressure and budget constraints of USPS, simplifying the ENDS business-to-business delivery process is in everyone’s best interest, particularly if technology can reduce manhours required to process and handle new demands for thousands of businesses shipping upwards of hundreds of millions of dollars worth of products across the country.

[Share your perspective on the importance of ease for the business purposes exception to shipping ENDS through USPS, including your support for making the application itself and application status available online. Include information on the importance of certainty and clarity about how you can obtain an exception to the general nonmailability of ENDS between businesses.]

Further, USPS should reform the current business purposes exception process to align with the narrow prescription for limitations by Congress for the shipment of ENDS. 18 UNITED STATEC. § 1716E(b)(3)(B) does not require “express mail, hold for pickup services” for ENDS deliveries, for example, as well as such a mandate will create an undue burden on both ENDS businesses and USPS employees nationally. This option is enormously expensive and sends the signal to businesses that USPS does not want their business.

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Alternatively, USPS should accept the approved business purposes exception documentation, verify that a recipient is a covered and approved authorized business recipient of ENDS products, and allow mailings through both the USPS pickup and drop-off system in place for other USPS-handled packages. Additional burdens will create headaches for the USPS infrastructure while needlessly raising costs for businesses.

Importance of Adult Consumer Access to Legal ENDS Under Review by FDA

Electronic cigarettes and nicotine vapor products are significantly less harmful than combustible cigarettes. Ranging from the Royal College of Physicians and Public Health England to the National Academies of Sciences, Engineering, and Medicine, the global consensus on vaping is that adult smokers who make the switch are significantly reducing their risks of cancer, illness, and disease.

[Share any story you might have of an adult smoker relying on ENDS you sell to successfully quit smoking.]

In 2019, the FDA’s Center for Tobacco Products Director Mitch Zeller expressed significant concerns over the potential outflux of businesses that offer ENDS to adult smokers, arguing that such a situation would negatively affect public health if adults who vaped were forced to return to cigarettes. His declaration holds true in this current climate, with legal ENDS businesses facing significant limitations on their ability to deliver products to other businesses and consumers.

[Share any information on what would happen if you could only receive or ship a limited number of your products. Would a reduction in available products harm your consumers? Would some of them go back to smoking? Share any real anecdotes.]

Thank you for considering these important issues.

Name
Business



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