81_FR_76560 81 FR 76348 - Agency Information Collection Activities; Proposed Collection; Comment Request

81 FR 76348 - Agency Information Collection Activities; Proposed Collection; Comment Request

FEDERAL TRADE COMMISSION

Federal Register Volume 81, Issue 212 (November 2, 2016)

Page Range76348-76357
FR Document2016-26486

The FTC is submitting the information collection requirements described below to the Office of Management and Budget (``OMB'') for review, as required by the Paperwork Reduction Act (``PRA''). The FTC is seeking public comments on proposed information requests to marketers of electronic cigarettes (``e-cigarettes''). The FTC proposes to issue compulsory process orders to up to 15 e-cigarette manufacturers, distributors, and marketers per year for information concerning, among other things, data on annual sales and marketing expenditures. The Commission intends to ask OMB for a three-year clearance to collect this information.

Federal Register, Volume 81 Issue 212 (Wednesday, November 2, 2016)
[Federal Register Volume 81, Number 212 (Wednesday, November 2, 2016)]
[Notices]
[Pages 76348-76357]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-26486]


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FEDERAL TRADE COMMISSION


Agency Information Collection Activities; Proposed Collection; 
Comment Request

AGENCY: Federal Trade Commission (``FTC'' or ``Commission'').

ACTION: Notice.

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SUMMARY: The FTC is submitting the information collection requirements 
described below to the Office of Management and Budget (``OMB'') for 
review, as required by the Paperwork Reduction Act (``PRA''). The FTC 
is seeking public comments on proposed information requests to 
marketers of electronic cigarettes (``e-cigarettes''). The FTC proposes 
to issue compulsory process orders to up to 15 e-cigarette 
manufacturers, distributors, and marketers per year for information 
concerning, among other things, data on annual sales and marketing 
expenditures. The Commission intends to ask OMB for a three-year 
clearance to collect this information.

DATES: Comments on the proposed information requests must be received 
on or before December 2, 2016.

ADDRESSES: Interested parties may file a comment online or on paper, by 
following the instructions in the Request for Comment part of the 
SUPPLEMENTARY INFORMATION section below. Write ``Electronic Cigarettes: 
Paperwork Comment, FTC File No. P14504,'' on your comment. File your 
comment online at https://ftcpublic.commentworks.com/ftc/electroniccigarettespra2 by following the instructions on the web-based 
form. If you prefer to file your comment on paper, mail your comment to 
the following address: Federal Trade Commission, Office of the 
Secretary, 600 Pennsylvania Avenue NW., Suite CC-5610 (Annex J), 
Washington, DC 20580, or deliver your comment to the following address: 
Federal Trade Commission, Office of the Secretary, Constitution Center, 
400 7th Street SW., 5th Floor, Suite 5610 (Annex J), Washington, DC 
20024.

FOR FURTHER INFORMATION CONTACT: Requests for additional information 
should be addressed to Elizabeth Sanger or Rosemary Rosso, Division of 
Advertising Practices, Bureau of Consumer Protection, Federal Trade 
Commission. Telephone: (202) 326-2757 (Sanger) or (202) 326-2174 
(Rosso).

SUPPLEMENTARY INFORMATION:

I. Background

    In the past few years, sales of e-cigarettes have grown rapidly in 
the United States.\1\ These devices are available in both disposable 
and refillable models, in a range of nicotine strengths (including 
nicotine-free), and in a multitude of flavors. E-cigarettes are 
manufactured, distributed, and sold by a wide variety of industry 
members, ranging from large companies, including major U.S. tobacco 
companies, to small, single-location operators. They can be

[[Page 76349]]

purchased at conventional retail stores, at ``vape shops,'' which are 
retail stores that primarily or exclusively sell e-cigarettes, and 
online.
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    \1\ These products are most commonly referred to as e-
cigarettes, but sometimes also are referenced as vape pens, personal 
vaporizers, e-hookah, and electronic nicotine delivery systems. This 
information collection would cover all such products, regardless of 
how they are referenced.
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    For many years, the Commission has published reports on sales and 
marketing expenditures by the major cigarette and smokeless tobacco 
manufacturers. These data allow the agency to analyze industry sales 
and assess how industry members allocate their promotional activities 
and expenditures. The data also provide information to policymakers and 
public health researchers that, in many instances, is not available 
from other sources. Given their increasing prevalence, the Commission 
believes it is important and necessary for the agency to begin 
collecting information about e-cigarette sales and marketing 
activities. The Commission intends to publish a report with the data it 
obtains,\2\ and to issue similar information requests regularly in 
order to track trends over time. The information will be sought using 
compulsory process under Section 6(b) of the Federal Trade Commission 
Act, 15 U.S.C. 46(b).
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    \2\ The report would not disclose any company-specific 
confidential data.
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    The Commission intends to issue information requests to up to 15 
industry members, including larger and smaller entities, and will seek 
information about the different types of e-cigarette products marketed, 
certain characteristics of those products, and information about 
marketing expenditures for broad categories of media. While the data 
may not represent overall sales and marketing activities for the entire 
e-cigarette industry, the information provided should provide a 
valuable snapshot of the current e-cigarette market, including its 
major players. Because the number of separately incorporated companies 
affected by the Commission's requests will exceed nine entities, the 
Commission is seeking OMB clearance under the PRA before requesting any 
information from the industry members.\3\ On October 27, 2015, as 
required by the PRA, the FTC published a Federal Register Notice 
seeking comments from the public concerning the proposed collection of 
information from e-cigarette marketers. See 80 FR 65758 (``October 2015 
Notice''). As discussed below, 37 comments were received.
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    \3\ Under the PRA, 44 U.S.C. 3501-3521, federal agencies must 
obtain approval from OMB for each ``collection of information'' they 
conduct or sponsor if posed to ten or more entities within any 
twelve-month period. 44 U.S.C. 3502(3); 5 CFR 1320.3(c). 
``Collection of information'' means agency requests or requirements 
that members of the public submit reports, keep records, or provide 
information to a third party. 44 U.S.C. 3502(3); 5 CFR 1320.3(c).
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    Pursuant to the OMB regulations that implement the PRA (5 CFR part 
1320), the FTC is providing this second opportunity for public comment 
while requesting that the OMB grant the clearance for the proposed 
collection of information. All comments should be filed as prescribed 
in the Request for Comment part below, and must be received on or 
before December 2, 2016.

II. Public Comments

    The FTC received 37 comments in response to the October 2015 
Notice.\4\ Of these, 20 comments expressly supported and substantively 
addressed the proposed data collection. A joint comment favoring the 
proposal was submitted by the following public health organizations: 
American Academy of Pediatrics; the American Heart Association; 
Campaign for Tobacco-Free Kids; Tobacco Control Legal Consortium; and 
Truth Initiative (``Joint Public Health Comment''). Comments supporting 
the proposal also were received from three individual public health or 
public interest organizations.\5\ Favorable substantive comments were 
submitted by three government-related entities or individuals: National 
Association of Attorneys General Tobacco Committee (``NAAG''); the 
Oregon Public Health Division; and the Comptroller of the City of New 
York; and from three academic centers involved in public health and 
tobacco control issues.\6\ Ten individuals, many involved in local 
health education or tobacco control activities, filed individual 
comments supporting the data collection.\7\
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    \4\ See https://www.ftc.gov/policy/public-comments/initiative-626.
    \5\ Comments by Campaign for Tobacco-Free Kids (``CTFK''); 
American Lung Association; and Truth In Advertising, Inc.
    \6\ Comment by Georgia State University Tobacco Center of 
Regulatory Science (``Georgia State''); Comment by Glantz, et al., 
University of California, San Francisco Tobacco Center for 
Regulatory Science and Center for Tobacco Control Research and 
Education (``UCSF''); and Comment by Ribisl et al., University of 
North Carolina Gillings School of Global Public Health (``UNC'').
    \7\ Comments by K. Miloski (Riverhead Community Awareness 
Program); L. Rotolo (TFAC); S. Hills; D. Moore (Tobacco Free Action 
Committee); S. Fischer; A. Zanatta (Jewish Community Center); K. 
Keenan (Roswell Park Cancer Institute), M. James (POW'R Against 
Tobacco); J. DiFranza; and T. Cain (Anderson Aconee Behavioral 
Health).
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    Five comments were received from industry members: R.J. Reynolds 
Vapor Company and RAI Services Company (``Reynolds''); Altria Client 
Services Inc. and Nu Mark LLC (``Altria''); Rock River Manufacturing, 
the tobacco products manufacturing division of Ho-Chunk, Inc. (``Ho-
Chunk''); (4) Fontem US, Inc. (``Fontem''), and (5) Logic Technology 
Development LLC (``Logic''). None of these comments expressly opposed 
the proposed data collection, although two companies questioned whether 
the data collection was premature given the then-pending FDA deeming 
regulation that, among other provisions, asserts regulatory authority 
over e-cigarettes and other tobacco products.\8\ Each industry comment 
made suggestions that it asserted would enhance the quality, utility, 
and clarity of the information to be collected and reduce the burden on 
the respondents.
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    \8\ FDA has since issued its final regulation: Deeming Tobacco 
Products To Be Subject to the Federal Food, Drug, and Cosmetic Act, 
as Amended by the Family Smoking Prevention and Tobacco Control Act; 
Restrictions on the Sale and Distribution of Tobacco Products and 
Required Warning Statements for Tobacco Products (``Deeming 
Regulation''), 81 FR 28974 (May 10, 2016).
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    The remaining 12 comments did not substantively address the 
proposed data collection.

A. General Support for the Data Collection

    In its October 2015 Notice, the FTC sought comments regarding 
whether the proposed collection is necessary.\9\ Many of the comments 
stated that the data collection would provide important information, 
especially given the increased use of e-cigarettes by youth,\10\ and 
the limited availability of data on e-cigarette advertising and 
marketing from other sources.\11\ The Joint Public Health Comment 
stated that the collected data could provide valuable information and 
insights into the e-cigarette market and be used as a basis for public 
policy decisions. The UNC comment stated that the data collection would 
enable public health professionals to better understand where e-
cigarette advertising and marketing dollars are being spent, and to 
help develop specific interventions to prevent underage use. The UCSF 
comment stated that the reports would enable retrospective assessment 
of advocacy activities and policy changes.
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    \9\ See 80 FR 65758 at 65759.
    \10\ See, e.g., Joint Public Health Comment; comments from CTFK; 
UCSF; and Oregon Public Health Division.
    \11\ See, e.g., Joint Public Health Comment; comments from CTFK; 
UNC; and Georgia State.
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    A number of comments made favorable comparisons between the 
proposed collection of information on e-cigarette sales and marketing 
expenditures and the FTC's existing reports on cigarettes and smokeless 
tobacco, noting that the existing reports are widely used by public 
health

[[Page 76350]]

professionals, researchers, policymakers, and government agencies.\12\ 
These comments stated that expansion of data collection to e-cigarettes 
is needed to inform these same stakeholders about the nature and extent 
of e-cigarette advertising and marketing practices, and to allow them 
to monitor trends.\13\
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    \12\ See, e.g., Joint Public Health Comment; comments from 
Oregon Public Health Division; M. James; D. Moore; S. Fisher; S. 
Hills; and L. Rotolo.
    \13\ See, e.g., comment from CTFK.
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    The FTC believes that these information requests are in the public 
interest and essential to the agency's performance of its authority to 
investigate and report publicly on industry practices that affect the 
economic well-being of consumers. Consistent with the agency's 
information collection for cigarettes and smokeless tobacco products, 
the data will also provide important information for researchers and 
policymakers.

B. Utility of the Information Collection

    The FTC's October 2015 Notice also sought comment on whether the 
proposed data collection is necessary for the proper performance of the 
functions of the FTC, including whether the information will be 
practically useful.\14\ The NAAG comment stated that the data 
collection would greatly facilitate state efforts to better understand 
and effectively regulate e-cigarettes. The Joint Public Health Comment 
and the Georgia State comment noted that the FTC's report would 
facilitate research into e-cigarette marketing because it would provide 
access to data that are otherwise unavailable from commercial sources, 
which tend to focus on larger companies and traditional distribution 
channels such as convenience stores. The UCSF comment states that 
scholarly research of e-cigarette marketing would be best served by 
reliable data, such as data collected directly from members of the e-
cigarette market. Individual public health educators commented that a 
report on e-cigarette sales and marketing would facilitate their local 
and state health education work, which in turn informs evidence-based 
policymaking and regulatory action.\15\ One drug prevention specialist 
stated that a report on e-cigarette sales and marketing expenditures 
would also inform advocacy work and counter-marketing strategies to 
discourage youth and other vulnerable populations from using e-
cigarettes.\16\
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    \14\ 80 FR 65758 at 65759.
    \15\ See, e.g., comments by L. Rotolo and M. James.
    \16\ See comment by T. Cain.
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    One industry member, Ho-Chunk, questioned whether the value of the 
proposed data collection could be outweighed by the risk that a 
negative public perception of e-cigarettes would damage the growth of 
the industry. The company expressed concern that the FTC's data 
collection could send a premature message that the industry is engaged 
in predatory marketing or that there are as-yet-unknown health and 
safety risks associated with the use of these products.
    The Commission intends to use the data collection to provide useful 
baseline information (starting with 2015 data) concerning sales of the 
various e-cigarette products and allow the Commission to analyze how 
industry members allocate their promotional activities and expenditures 
across various media. The data also will provide researchers and 
policymakers with sales and marketing information that will assist 
their research and regulatory efforts. The Commission does not believe 
that the data collection itself will create any negative public 
perception of e-cigarettes or damage the growth of the industry. In 
particular, the proposal seeks sales and marketing expenditure data 
only and does not include an inquiry into any hypothetical predatory 
practices or health or safety information. In addition, the data 
collection here is very similar in content and methodology to studies 
that the Commission for many years has undertaken with respect to other 
markets, including cigarettes and smokeless tobacco products (OMB 
Control No. 3084-0134); alcoholic beverages (OMB Control No. 3084-
0138); and food (OMB Control No. 3084-0139).

C. Suggestions To Improve the Information Collection

    In its October 2015 Notice, the FTC invited comments concerning 
ways to enhance the quality, utility, and clarity of the information to 
be collected.\17\ The FTC received substantive comments for enhancing 
its proposed data collection as follows: (1) Expand the scope of the 
proposed data collection by collecting data from a broad cross-section 
of market participants and increasing the number of surveyed entities; 
(2) collect and report data on a state-by-state basis; (3) collect and 
report sales data that are segmented by product type, differentiates 
product characteristics such as flavors and nicotine strength, that 
include data on refills and cartridges, and that report sales data 
separately from product give-aways; and (4) collect and report broad 
categories of marketing expenditure data.
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    \17\ 80 FR 65758 at 65759.
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1. Scope of the Data Collection
    The Commission's October 2015 Notice anticipated collecting and 
reporting data obtained from as many as 15 entities that would vary in 
size, in the number of products sold, and in the extent and variety of 
their advertising and marketing.\18\ A number of comments recommended 
that the Commission expand the scope of the data collection by 
including a broad cross-section of market participants, including 
distributors and entities whose products are sold in traditional retail 
stores (e.g., convenience stores), as well as online sellers, and vape 
shops. To accomplish this goal, some commenters recommended that the 
Commission increase the number of entities from whom it would collect 
data.
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    \18\ Id. at 65760.
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    a. Type of Market Participant. A wide range of commenters, 
including both industry and public health organizations and 
researchers, recommended that the Commission expand the scope of the 
proposed data collection by including a broad cross-section of market 
participants in the entities surveyed through the data collection. 
Logic recommended that the FTC seek a broader cross-section of the 
market. Fontem commented that vape shops comprise a large percentage of 
the market, and noted that the data collection would not be meaningful 
if vape shops were not included. Altria also suggested that the FTC 
send data requests to a selection of vape shops. Reynolds recommended 
that the Commission differentiate the information requests by type of 
market participant, reasoning that such segmentation would present less 
need for highly differentiated sales and marketing data. The Joint 
Public Health Comment recommended that the FTC survey a selection of 
large companies, as well as a geographically dispersed selection of e-
cigarette manufacturers, distributors, and retailers (including online 
sellers and vape shops) in order to get a cross-section of market 
participants. The UNC comment recommended that the proposed data 
collection differentiate the method of sale (distributors, online, 
retail) so that subsequent enforcement efforts can be tailored 
appropriately. Georgia State and one individual also recommended that 
the Commission differentiate by method of sale. Another individual 
recommended that the data requests segment market participants into two

[[Page 76351]]

groups: Those that sell only e-cigarette products and those that sell 
e-cigarettes and other tobacco products.
    The Commission agrees that seeking data from a broad cross-section 
of the overall market, including distributors to conventional retail 
sellers, online sellers, and vape shops, would provide a fuller 
perspective on the overall e-cigarette market. However, the Commission 
was not able to find sufficient, reliable market data that would permit 
it to identify and select which smaller online sellers and vape shops 
should receive data requests. The available data from which the 
Commission could identify a sample of online sellers or vape shops are 
so limited and insufficient that any separate samples of these sellers 
would at best provide anecdotal information.
    In contrast, the available market data do permit a reliable sample 
of the largest e-cigarette marketers and some online sellers. The 
Commission believes that a sample of these companies will account for 
at least 80 percent of the conventional retail market and a sizable 
share of the online market. Thus, the data will provide useful 
information concerning at least this large subset of the overall 
market. At the same time, the Commission remains interested in 
collecting and reporting sales and marketing expenditure data from a 
broader cross-section of the market. Should more reliable market data 
become available, the Commission may seek OMB clearance to collect 
sales and marketing expenditure data for a broader cross-section of 
companies at such time, and would report on the data received.
    b. Number of Entities Submitting Data. To capture data from a broad 
cross-section of market participants, several commenters recommended 
that the Commission collect data from more than 15 entities, the number 
identified in the October 2015 Notice. Altria recommended increasing 
the number beyond 15 entities given industry fragmentation and the 
increased market presence of vape shops. Reynolds questioned whether 
data collection from 15 entities would be sufficient to allow the FTC 
to characterize overall market sales and marketing activities. Logic 
stated that the proposed data collection was under-inclusive because 
too few companies would be required to report data. The Georgia State 
and Truth In Advertising comments stated that expanding the data 
collection beyond 15 entities would provide a fuller perspective and 
more accurate representation of the overall market. The Joint Public 
Health Comment also recommended that the FTC send data requests to more 
than 15 entities.
    As discussed above, reliable data permitting the Commission to 
identify a representative sample of a broad cross-section of the market 
do not appear to be available at this time. As a result, the Commission 
does not believe it necessary to increase the number of entities from 
whom it will seek to collect and report data.
2. State-By-State Data Collection
    The FTC's October 2015 Notice asked whether the agency should seek 
data on state-by-state sales of e-cigarettes.\19\ Altria recommended 
that the Commission consider conducting a state-by-state analysis given 
the highly fragmented nature of the overall market. Comments from 
public health organizations and research centers also supported state-
by-state data collection for sales and, in some comments, also for 
marketing expenditures.\20\ The UNC comment noted that reporting state-
by-state data would help tobacco control professionals understand which 
states and regions have the greatest sales, and help them target their 
tobacco control efforts accordingly. The Oregon Public Health Division 
and Georgia State comments noted that state-by-state data would be 
useful in evaluating the impact of state and local regulatory efforts. 
Reynolds opposed state-by-state data collection, stating that such data 
were not readily available for e-cigarettes sold through distributors 
who sell such products in more than one state. Reynolds further stated 
that there are no efficient and reliable means to obtain state-by-state 
data.
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    \19\ 80 FR 65758 at 65759.
    \20\ See Joint Public Health Comment, recognizing that certain 
marketing expenditures made on a national level could not be 
reported on a state-by-state basis. See also comments from Oregon 
Public Health Division; UNC; Georgia State; UCSF; and T. Cain.
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    Although the Commission agrees that state-by-state data collection 
could provide useful information, such data collection would 
significantly increase the complexity and burden of the data requests 
and might not be readily practical for some e-cigarette sellers. Thus, 
the Commission has decided against requesting approval for state-by-
state data collection at this time. The Commission remains interested 
in this issue, however, and could request OMB clearance to collect 
state-by-state data in the future.
3. Collection of Sales Data
    a. Type of Product. A number of commenters noted the wide variety 
of different e-cigarette products currently marketed. Reynolds noted 
that three general categories of e-cigarette products are currently 
available: (1) Disposable products, (2) rechargeable and pre-filled 
cartridge products, and (3) ``tank'' products that require the user to 
put e-liquid into an aerosol-generating device. The Joint Public Health 
Comment recommended that the Commission require responders to report 
separately by product type.\21\ The UNC comment also supported separate 
reporting by product type, noting that separate reporting can be useful 
to track changes in popularity and use. Similarly, the UCSF comment 
supported separate reporting as a means to help evaluate how changes in 
sales of different products correspond to changes in use.
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    \21\ Other commenters also supported separate reporting 
generally. See comments from CTFK; American Lung Ass'n; NAAG; L. 
Rotolo; and S. Fisher.
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    Reynolds recommended against differentiating by product type, 
noting that the different products generally could be categorized by 
the retail market where the products are sold, with conventional retail 
stores selling disposable and rechargeable products, and ``vape 
stores'' selling tank products. Reynolds preferred categorizing by type 
of marketer rather than type of product.
    Given the wide variety of products available, the Commission 
believes that separate reporting by product type will be useful and 
important in tracking future developments in the e-cigarette market. 
Thus, the proposed data collection contemplates separate reporting 
across three categories: (1) Non-refillable (i.e., disposable) 
products; (2) refillable closed systems (i.e., rechargeable and 
refillable cartridge products); and (3) refillable open systems (i.e., 
``tank'' systems).
    b. Differentiation by Flavors. Comments from public health 
organizations, research centers, and health educators recommended that 
the Commission seek sales data that are differentiated by their various 
characterizing flavors.\22\ The Joint Public Health Comment stated that 
flavors appear to be one of the reasons youth and adults try e-
cigarettes. The CTFK comment stated that the available data suggest 
that flavors are a key reason youth try and use e-cigarettes, citing 
the 2013-2014 Population Assessment of Tobacco and Health (``PATH'') 
study, which showed that most youth smoked flavored e-cigarettes when 
they first tried the product and during the past month. The comment 
also cited data

[[Page 76352]]

from the PATH study indicating that surveyed youth reported ``comes in 
flavors that I like'' as one of the reasons they used e-cigarettes. The 
Georgia State comment stated that data differentiated by flavors would 
help regulators and the public health community determine the role 
flavors play in patterns or reasons for use, perceptions of harm, and 
social norms.
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    \22\ See Joint Public Health Comment, and comments from CTFK; 
American Lung Ass'n; NAAG; UNC; UCSF; Georgia State; M. James; and 
L. Rotolo.
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    Reynolds and Fontem opposed the collection of detailed flavor data. 
Fontem noted that there is no standardized method of reporting flavors 
across the industry, and both stated that characterizing flavors is 
subjective. Reynolds stated that the utility of seeking flavor data is 
not clear.
    Given the potential importance of flavors for trial and use of e-
cigarettes, especially among youth, the Commission will seek to collect 
data that differentiate among flavors. However, as discussed infra at 
section II.D.2, to reduce the burden, the proposed data collection will 
designate only three flavor categories, rather than requiring companies 
to report each flavor individually.
    c. Differentiation by Nicotine Strength. The comments from public 
health organizations, research centers, and NAAG supported the 
collection of data on nicotine content levels. The Georgia State 
comment indicated that research suggests nicotine levels are related to 
patterns or reasons for use. The CTFK comment stated that e-cigarettes 
contain highly variable amounts of nicotine, and there are no reliable 
data providing information about nicotine strength. The UNC comment 
indicated that information about nicotine strength could be valuable 
for determining equivalence to conventional tobacco products and for 
consideration of potential long-term health risks. The UCSF comment 
noted that nicotine content data could facilitate the testing of 
competing hypotheses as to the effect of nicotine regulation on use.
    Fontem and Reynolds opposed collection of data concerning nicotine 
strength. Fontem commented that collection of nicotine content data 
would not be useful because there is no standardized method of 
reporting nicotine content across the industry. Reynolds also 
questioned whether nicotine content data would provide useful 
information.
    The Commission believes that collection of data concerning nicotine 
strength will provide useful information that is not readily available 
from other sources. The agency does not believe that the lack of a 
standardized reporting method invalidates the utility of these data. 
The FTC will take into account the various comments received in the 
course of developing its report on the data collection.
    d. Cartridges and Refills. Several commenters addressed the 
Commission's request for comments on the collection of data concerning 
refills, especially with regard to refillable products sold with more 
than one refill unit. E-cigarette products, other than disposable 
products, are often marketed to consumers with the device, battery, 
atomizer, and one or more refill units sold together in a single 
package. The Joint Public Health Comment stated that any cartridge or 
liquid unit above one should be counted as a refill, regardless of 
whether it is packaged as part of the same stock keeping unit (``SKU'') 
or sold individually. Fontem stated that there is no consistency among 
marketers as to blister packs or refills that come in a single package. 
Thus, Fontem questioned whether gathering information on refills would 
yield meaningful information. The company recommended that if the 
Commission opted to track refills, that it simply track the total 
number of refills. Reynolds recommended that for products sold with 
more than one cartridge, the FTC should abide by the product 
configuration as sold to consumers, i.e., allow companies to use the 
SKUs for reporting. Reynolds stated that relying on existing SKUs would 
allow responders to use existing records to produce data and, thus, 
would be simpler and clearer.
    On balance, requiring companies to report the total number of 
refill units will provide a more accurate picture of e-cigarette sales. 
Thus, if an e-cigarette product is sold with more than one cartridge or 
e-liquid unit, each cartridge or unit above one should be reported as a 
refill. Likewise, each cartridge or e-liquid unit sold individually 
also would count as a refill. In addition, the Commission believes this 
approach is consistent with the approach it has taken with regard to 
the collection of sales data for other tobacco products. For example, 
if three pouches of smokeless tobacco are packaged together as a single 
unit for sale to consumers, the Commission's compulsory process orders 
have required a responding company to report each pouch separately, for 
a total of three units.
    e. Sales and Give-Aways. Comments from public health organizations 
and research centers generally supported the collection of data on both 
sales and give-aways and the reporting of these data separately.\23\ 
CTFK noted that currently only limited data are available concerning 
market size and that current estimates do not differentiate between 
sales and give-aways.\24\ The UNC comment stated that collecting sales 
and give-away data and reporting those data separately is important for 
evaluating which products are most frequently purchased, and the 
Georgia State comment noted that reporting the data separately more 
accurately reflects market transactions. The UCSF comment stated that 
give-aways are important to identify separately given their potential 
to reach youth under the age of 18.
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    \23\ See Joint Public Health Comment; see also comments from 
CTFK; UNC; UCSF; Georgia State; American Lung Ass'n; and NAAG.
    \24\ The CTFK comment and the Joint Public Health Comment also 
noted that collecting data on give-aways was especially important 
because at the time there were no national restrictions on free 
sampling. These comments noted that such restrictions would not take 
effect until FDA issued its final Deeming Regulation that, among 
other things, asserted jurisdiction over e-cigarettes and other 
tobacco products. As noted supra note 7, FDA has now issued its 
Deeming Regulation. As a result of this regulation, the national ban 
on the distribution of free samples will apply to all tobacco 
products. 90 FR 28974 at 29054; 21 CFR 1140.16(d). The prohibition 
on free sampling took effect on August 8, 2016. 90 FR 28974 at 
28976.
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    The Commission agrees that data on sales and give-aways should be 
collected and reported separately given the distinct role each plays in 
the overall market. In addition, the agency collects and reports data 
on sales and give-aways separately in its data collection for 
cigarettes and smokeless tobacco products and, therefore, separate 
collection and reporting will be consistent with the approach taken for 
these other tobacco products.
4. Collection of Marketing Data
    A number of comments supported data collection for the various 
media specifically identified in the FTC's October 2015 Notice, as well 
as other marketing channels.\25\ The NAAG comment stated that 
collection and reporting of broad categories of marketing expenditure 
data would be useful not only to the public but also to state officials 
who are assessing regulatory options and enforcement efforts.
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    \25\ See, e.g., Joint Public Health Comment; comments from CTFK; 
Oregon Public Health Division; American Lung Ass'n; and NAAG.
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    The Joint Public Health Comment and the CTFK comment stated that it 
is important to collect marketing expenditures for television, radio, 
and other broadcast media, noting that unlike cigarettes and smokeless 
tobacco products, no statutory broadcast ban applies to e-cigarettes. 
Several

[[Page 76353]]

comments specifically noted the importance of collecting and reporting 
data for marketing expenditures for media especially attractive to 
youth, such as point-of-sale advertising,\26\ sponsorship of concerts 
and other events as well as sports teams or individual athletes or 
drivers,\27\ and celebrity endorsers.\28\ Several comments specifically 
identified product placement as a category where marketing expenditures 
should be collected and reported,\29\ with the Joint Public Health 
Comment noting that expenditures for all forms of product placement 
should be collected, including product placement expenditures for 
broadcast media, movies, digital, and other media. The Georgia State 
comment supported detailed data collection for web-based and social 
media marketing expenditures, noting that availability of these data 
from commercial data sources is limited. Fontem recommended that the 
FTC include couponing as a category of marketing expenditures; the UCSF 
and Georgia State comments likewise identified coupons as well as other 
forms of price promotion as categories where the Commission should 
collect marketing expenditure data.
---------------------------------------------------------------------------

    \26\ See, e.g., Joint Public Health Comment.
    \27\ See, e.g., Joint Public Health Comment, comments from 
Oregon Public Health Division and NYC Office of the Comptroller.
    \28\ See, e.g., comments from Oregon Public Health Division and 
NYC Office of the Comptroller.
    \29\ See, e.g., Joint Public Health Comment, comments from CTFK 
and Oregon Public Health Division.
---------------------------------------------------------------------------

    Reynolds recommended that the data collection focus on the 
marketing expenditure categories already used by the FTC in its data 
collection for cigarettes and smokeless tobacco products, noting that 
the Commission has decades of experience collecting those data. One 
individual commenter also recommended that the Commission seek and 
report the same categories of marketing expenditure data tracked for 
cigarettes and smokeless tobacco products in order to facilitate 
comparisons.\30\
---------------------------------------------------------------------------

    \30\ Comment by J. DiFranza.
---------------------------------------------------------------------------

    The Commission agrees that collecting and reporting data for broad 
categories of marketing expenditures will be useful, including data 
concerning traditional and newer media, product placement, sponsorship, 
endorsements, and price promotions. The agency will seek to collect 
marketing data in categories that generally track those used for 
cigarettes and smokeless tobacco products, with two primary 
differences. First, the Commission will seek to collect and report data 
for marketing expenditures on broadcast media such as television and 
radio because, unlike cigarettes and smokeless tobacco products, no 
statute prohibits using these media to advertise and market e-
cigarettes. Second, some of the categories have been updated to 
explicitly recognize newer forms of media now used for advertising and 
marketing, such as digital and social media.

D. Suggestions To Minimize the Burden of the Information Collection

    The Commission's October 2015 Notice invited comments on ways to 
minimize the burden of the collection of information on entities 
required to respond to the data requests.\31\
---------------------------------------------------------------------------

    \31\ 80 FR 65758 at 65759.
---------------------------------------------------------------------------

1. Defer Data Collection Until Issuance of FDA Final Deeming Regulation
    Reynolds and Fontem suggested that the Commission defer its data 
collection until after FDA issued its final Deeming Regulation. 
Reynolds noted that the final regulation would clarify the scope and 
impact of FDA's regulation of e-cigarettes. As noted above, FDA issued 
its final regulation on May 10, 2016. There is no overlap between FDA's 
regulation and the proposed data collection. Accordingly, it is not 
necessary to defer the data collection.
2. Categorize Product Flavors and Nicotine Strength
    As discussed above, the Commission plans to collect data concerning 
e-cigarette flavors and nicotine strength. To reduce the burden of 
reporting each individual flavor, the Joint Public Health comment and 
comments from CTFK and the American Lung Association recommended that 
companies report three categories of flavors: Tobacco, menthol/mint, 
and other. The Joint Public Health comment stated that these three 
categories would most easily capture the breadth of flavors available, 
and make it easier for the industry and the FTC to count all the 
flavors. CTFK noted that categorizing in this manner would also 
eliminate the overlap that might result from more limited flavor 
categories. Comments from UCSF and NAAG, on the other hand, stated that 
the Commission should collect data on each individual flavor. Given the 
variety and number of different flavors, the Commission believes that 
classifying e-cigarettes into three categories of flavors--tobacco, 
menthol/mint, and other--will provide useful information while 
significantly reducing the burden on reporting companies, and will use 
these categories in the data collection, if approved.
    The Joint Public Health Comment and the CTFK comment also indicated 
that reporting nicotine strength by categories might be sufficient and 
would reduce the reporting burden on responding entities. The UCSF 
comment, on the other hand, recommended that the Commission require 
companies to report each different nicotine strength. Categorizing 
nicotine strengths would require consultation with scientific 
authorities to determine the appropriate categories for reporting. In 
addition, reporting in categories could blur trends over time due to 
inherent imprecision. Thus, the Commission plans to require reporting 
for each individual nicotine strength sold by the reporting entity, 
rather than for categories. Once the Commission has these data, it will 
consider how best to organize and discuss them in the course of 
developing its report.
3. Narrow Scope of Data Requests by Requiring Less Specificity
    Reynolds and Fontem each recommended that the Commission require 
less detail in the data requests as a means of reducing the burden of 
responding, and suggested that the collection of certain information 
might not be useful. Fontem suggested that the Commission not seek 
information concerning product flavors, nicotine strength, or blister 
packs and refills. The company suggested that if the Commission did 
decide to collect flavor data, it require only two categories of 
information: Tobacco and other. It also suggested that if the agency 
decided that some information about refills was needed, it simply track 
total number of refills sold. Reynolds suggested that the Commission 
model its requests on the information requests for cigarettes and 
smokeless tobacco products, and not require differentiation by type of 
product, nicotine concentration, size, method of sale, and flavors. If 
the Commission opted to seek information about flavors, Reynolds 
recommended that the agency request data based on brand style names and 
descriptions the product manufacturers created to describe their 
products. For the reasons discussed above, the Commission believes that 
the information collection should include information concerning 
flavors, nicotine strength, refill units, and other product 
characteristics. Collection of flavor information by broad categories, 
rather than individually, will reduce the burden on responding to the 
information requests.

[[Page 76354]]

4. Limit Information Collection to Age Screening and Ad Content Review
    In its comment, Logic proposed that the Commission limit its 
information collection to data applicable to: (1) Youth access and (2) 
illegal, inaccurate, or deceptive advertising claims about e-
cigarettes. According to Logic, these two areas address the relevant 
societal issues for information collection, consistent with the FTC's 
mandate to prevent unfair or deceptive business practices. Logic stated 
that collecting substantial data concerning sales and marketing 
expenditures would represent a substantial burden and, thus, suggested 
that the Commission confine the information sought to companies' age-
screening mechanisms and to production of their advertising campaigns 
for review to ensure they are not making deceptive claims. The 
Commission disagrees with limiting the data collection to these two 
categories of information. Rather, broader information collection about 
sales and marketing expenditures is in the public interest, because it 
will allow the Commission to analyze sales and assess how industry 
members allocate their promotional activities and expenditures. For 
decades, the Commission has collected and reported information about 
sales and marketing expenditures for other tobacco products, as well as 
for other consumer products, and the e-cigarette information requests 
are consistent with the data collection and reporting for those 
products. Although the Commission agrees that preventing false and 
deceptive advertising is an important component of its consumer 
protection mission, law enforcement action against specific marketers, 
rather than information collection, is a better means of addressing 
potentially unfair or deceptive e-cigarette advertising.

E. Age-Screening Mechanisms

    In its October 2015 Notice, the Commission anticipated that its 
data collection requests would include seeking information concerning 
efforts such as age-screening mechanisms to prevent youth from being 
exposed to advertising and promotion of e-cigarettes or from obtaining 
free product samples. One industry member, Logic, supported data 
collection regarding age-verification methods, stating that many online 
sellers use no age-verification methods at all while conventional 
retail stores require rigorous age-verification. The Joint Public 
Health comment, and comments from CTFK, Georgia State, UCSF, and one 
individual, also supported data collection for this category, with 
Georgia State and UCSF also specifying age verification for online 
purchases. The Georgia State comment noted that data collection and 
reporting for this category would be useful to determine whether more 
stringent regulatory action was needed.
    The Commission agrees that data concerning age-verification methods 
would be useful, and plans to collect and report data concerning age-
screening mechanisms to prevent youth from being exposed to e-cigarette 
advertising and promotion or from obtaining free product samples.

F. Accuracy of Estimated Burden of the Information Collection

    The Commission's October 2015 Notice invited comments on the 
accuracy of the agency's estimate of the burden of the proposed 
collection of information, including the validity of the methodology 
and assumptions used.\32\ The Commission estimated a per company 
average of 200 hours for each recipient of an information request for 
the first year, and a per company average of 150 hours for the 
remaining years. Thus, the total hours burden for 15 information 
requests was estimated to be 3,000 hours for the first year, and 2,250 
for each of the subsequent two years, for a total of 7,500 hours. The 
Commission estimated that the total labor costs for 15 information 
requests to be $300,000 for the first year, and $225,000 for each of 
the subsequent two years, for a total of $750,000. This estimate 
assumed an average $100/hour wage, which is the same estimated wage 
average used in the Commission's recent request for reauthorization of 
information requests to cigarette and smokeless tobacco companies.
---------------------------------------------------------------------------

    \32\ 80 FR 65758 at 65759.
---------------------------------------------------------------------------

    The comment from Reynolds asserted that the Commission had 
underestimated the total hours burden. The company stated that it 
usually takes it twice as long as the FTC's estimated time burden to 
compile information for similar data collections for cigarette and 
smokeless tobacco companies. Reynolds also stated that the FTC should 
include in its estimate the amount of time companies will need to 
communicate directly with Commission staff when seeking clarification 
regarding the data collection. Reynolds and Fontem commented that the 
FTC's labor cost estimate also underestimates the total burden costs, 
stating that an average wage of $100/hour was too low. Neither company, 
however, provided an alternative figure or other information indicating 
what a more accurate hourly labor cost should be.
    The Commission believes that its estimate burdens with respect to 
both average hours and labor costs are reasonable, especially in the 
absence of more specific information to calculate estimates that are 
more precise. However, out of an abundance of caution, the Commission 
has revised its burden estimate from that stated in the October 2015 
Notice by increasing its estimated hours burden by 50 percent. As 
revised, the Commission calculates a per company average of 300 hours 
for the first year, and 225 hours for each of the two remaining years, 
resulting in a cumulative total of 11,250 hours for 15 information 
requests over three years. The Commission has not changed is average 
hourly cost estimate. The Commission's estimate is based on the 
assumption that the labor costs will include varying compensation 
levels among staff, management, and legal review, with most work 
performed by non-legal staff. In the absence of more precise data, the 
Commission believes that the same $100/hour wage that it used in its 
recent application for reauthorization of information requests to 
cigarette and smokeless tobacco companies is appropriate here as well. 
As discussed infra, however, the total cost burden will increase due to 
the increase in the estimated hours burden.

G. Other Comments

    The Joint Public Health Comment and the comments from CTFK and 
American Lung Association recommended that the Commission coordinate 
its data collection with FDA. The American Lung Association stated that 
coordination might be mutually beneficial for both agencies, and CTFK 
indicated that coordination might help assure consistency in measures. 
Altria also encouraged the Commission to consider how it would interact 
with FDA once the Deeming Regulation was issued. The FTC staff and FDA 
staff already have a long tradition of working together on tobacco 
issues and the many other areas where the two agencies share 
jurisdiction. The FTC staff expects that tradition will continue. To 
the extent that coordination is required for specific issues concerning 
the proposed information collection, the agencies already have 
processes and procedures in place to address those issues.
    The Georgia State comment recommended that the FTC require detailed 
brand-specific information, noting that the Commission's reports for 
cigarettes and smokeless tobacco products report aggregated rather than 
brand-specific data. The UCSF comment also recommended that the 
Commission collect and report brand-specific data.

[[Page 76355]]

The Commission's compulsory process orders to surveyed companies will 
collect brand-specific data. However, because Section 6(f) of the FTC 
Act, 15 U.S.C. 46(f), protects confidential commercial information that 
is submitted to the Commission, the agency cannot publicly identify 
sales and marketing data for particular brands or companies that is not 
already public. Thus, the Commission's report on the data collection 
will provide aggregated rather than brand-specific data.
    Commenters also recommended that the Commission seek more detailed 
differentiation of certain marketing expenditure data. The Joint Public 
Health Comment recommended that the Commission obtain data concerning 
the demographic composition of social media networks. The UCSF comment 
suggested collecting data regarding the amounts spent for different 
population subgroups, specific information concerning the time when 
marketing activities occurred, and requiring each responding company to 
identify its top three outlets and top three marketing programs within 
each media category. The added detail would significantly increase the 
complexity and burden of responding to the information requests. In 
addition, as indicated above, the Commission cannot publicly identify 
sales and marketing data on particular brands or companies and, thus, 
would not be able to include the specific data in its report. Thus, the 
Commission will not seek to include these data in the proposed 
information requests.
    The Georgia State comment recommended that the Commission collect 
data on e-cigarette device specifications and capabilities. The comment 
indicated that this information would permit assessment of product 
differences concerning characteristics such as nicotine delivery, 
patterns of use, and puff topography. Collection of these data, 
however, is beyond the scope of the information requests' purpose.
    Fontem's comment recommended that the Commission review e-
cigarettes as smoking cessation devices and that it expand the 
information requests in order to collect data on other smoking 
cessation products, such as nicotine patches. This suggestion is beyond 
the scope of the proposed information collection, which concerns sales 
and marketing data for e-cigarette products, not products intended to 
treat nicotine addiction, which is the intended use for smoking 
cessation products. Whether any product is approved for use as a 
smoking cessation product is a question within the jurisdiction of FDA, 
not the FTC.
    As noted earlier, the FTC received twelve comments that did not 
address the proposed data collection. One individual raised concerns 
that some e-cigarette marketers were making false claims that the 
products were effective for smoking cessation, and four individuals 
indicated that e-cigarettes helped with smoking cessation. Three 
individuals called for regulation of e-cigarettes, which FDA's recent 
issuance of its Deeming Regulation accomplishes. One individual stated 
that e-cigarettes should not be available to persons under the age of 
18. FDA's Deeming Regulation prohibits the sale (both in-person and 
online) of e-cigarettes and other tobacco products to persons under the 
age of 18.\33\ One individual commented that e-cigarette advertisements 
seem to be targeted to youth. One individual commented that the FTC 
should consider that a substantial portion of the e-cigarette market is 
for cannabis e-cigarette products rather than tobacco. Finally, one 
commenter asked the FTC to keep public health at the forefront of its 
decision-making.
---------------------------------------------------------------------------

    \33\ 90 FR at 28974 at 29103; 21 CFR 1140.14. This provision 
took effect on August 8, 2016.
---------------------------------------------------------------------------

III. Information Requests to the E-Cigarette Industry

    The Commission proposes to send information requests to the 
ultimate U.S. parent entities of up to 15 e-cigarette marketers in the 
United States. These companies will vary in size, the number of 
products sold, and in the extent and variety of their advertising and 
marketing activities, and will include the largest marketers of e-
cigarettes. As noted above, based on available market data, the 
Commission estimates its sample will account for more than 80 percent 
of the conventional retail market and a sizable portion of the online 
market.
    The proposed information requests will seek sales data about the 
types and variety of e-cigarette products sold. The sales information 
will be reported under three broad categories: (1) Non-refillable 
(i.e., disposable) products; (2) refillable closed systems (i.e., 
rechargeable and pre-filled cartridge products); and (3) refillable 
open systems (i.e., ``tank'' systems). Within these three categories, 
companies will report data differentiated by the strength of nicotine 
content and three categories of flavors: Tobacco, menthol/mint, and 
other. Data will be reported separately for sales and give-aways. The 
information requests will collect data for both unit sales as well as 
by net sales revenues. Data on net sales revenues will be reported by 
flavor only.
    The information requests also will seek information and data 
concerning advertising and marketing activities and expenditures in a 
broad variety of media categories, including: (1) Radio, television, 
and print advertising; (2) Web site, digital, and social media 
marketing; (3) product placement; (4) endorsements, including celebrity 
endorsements; (5) sponsorship of concerts and other events and as well 
as of sports teams or individual athletes such as racing car drivers; 
(6) distribution of free samples; and (7) price promotions, including 
couponing programs. These expenditure categories generally track those 
used by the FTC in its data collections for cigarettes and smokeless 
tobacco products, with two exceptions. First, the proposed information 
requests will seek data concerning television and radio expenditures, 
since e-cigarette advertising is not subject to statutory broadcast 
media prohibitions. In addition, the media categories have been updated 
to provide more differentiation among online and digital advertising 
media.
    The proposed information requests also will include information 
about company policies pertaining to age-screening mechanisms to 
prevent youth from being exposed to e-cigarette advertising and 
promotion or from obtaining free samples of e-cigarettes.

IV. Burden Estimates and Confidentiality

A. Estimated Hours Burden: 11,250 Hours

    FTC staff's estimate of the hours burden is based on the time that 
would be required to respond to the Commission's information requests. 
The FTC currently anticipates sending information requests to as many 
as 15 e-cigarette companies each year. Because the Commission 
anticipates that these companies will vary in size, in the number of 
products they sell, and in the extent and variety of their advertising 
and promotion, and given the currently evolving nature of the e-
cigarette industry, FTC staff has not calculated separate burden 
estimates for large and small companies, as is traditionally the case 
for the Commission's cigarette and smokeless tobacco information 
requests. For example, an e-cigarette marketer with a large volume of 
sales but a relatively small product line could potentially require 
fewer resources to respond to the Commission's information request than 
a marketer with lower overall sales but a

[[Page 76356]]

substantially larger product line that offers consumers a greater range 
of flavor and nicotine options. Rather than account for each potential 
permutation of factors, FTC staff has calculated a per company average 
at the upper limit of this potential range. Some companies likely will 
require less time to compile their responses.
    The Commission anticipates that even if it provides models for the 
Excel datafiles the companies will be required to submit, recipients of 
its information requests will need substantial time to prepare a 
response the first time. Once an e-cigarette marketer has prepared its 
first response to a Commission information request, however, it will 
need less time in subsequent years to prepare its reports because it 
will know what information it will be required to produce, and will 
already have a template for its submission.
    Accordingly, as an approximation, FTC staff assumes a per company 
average of 300 hours for each recipient of the Commission's information 
requests the first year they have to comply with the Commission's 
information request. Staff anticipates that in subsequent years, the 
per company average will be 225 hours. Thus, the overall estimated 
burden for 15 recipients of the information requests is 4,500 hours for 
the first year and 3,375 hours for each of the two subsequent years, or 
a total of 11,250 hours. Thus, the average yearly burden, over the 
course of a prospective three-year clearance, is 3,750 hours, or 250 
hours per recipient (large and small). These estimates include any time 
spent by separately incorporated subsidiaries and other entities 
affiliated with the ultimate parent company that has received the 
information request.

B. Estimated Cost Burden: $1,125,000

    Commission staff cannot calculate with precision the labor costs 
associated with these data requests, as they entail varying 
compensation levels of management and/or support staff among companies 
of different sizes. FTC staff assumes that computer analysts and other 
non-legal staff will perform most of the work involved in responding to 
the information requests, although legal personnel will likely be 
involved in reviewing the actual submission to the Commission. FTC 
staff believes that the same $100 per hour wage that it used in its 
recent request for reauthorization of information requests to the major 
cigarette and smokeless tobacco manufacturers is appropriate here also 
for the combined efforts of these individuals. Using this figure, FTC 
staff's best estimate for the total labor costs for 15 information 
requests is $450,000 (4,500 hours x $100 per hour) for the first year 
and $337,000 for the two subsequent years (3,375 hours x $100 per hour 
x 2), for a total of $1,125,000 over the entire three-year period. The 
annualized labor cost per respondent will average approximately 
$25,000.
    Staff believes that the capital or other non-labor costs associated 
with the information requests are minimal. Although the information 
requests may necessitate that industry members maintain the requested 
information provided to the Commission, they should already have in 
place the means to compile and maintain business records.

C. Confidentiality

    Section 6(f) of the FTC Act, 15 U.S.C. 46(f), bars the Commission 
from publicly disclosing trade secrets or confidential commercial or 
financial information it receives from persons pursuant to, among other 
methods, special orders authorized by Section 6(b) of the FTC Act. Such 
information also would be exempt from disclosure under the Freedom of 
Information Act, 5 U.S.C. 552(b)(4). Moreover, under Section 21(c) of 
the FTC Act, 15 U.S.C. 57b-2(c), a submitter who designates a 
submission as confidential is entitled to ten days' advance notice of 
any anticipated public disclosure by the Commission, assuming that the 
Commission has determined that the information does not constitute 
Section 6(f) material. Although materials covered under one or more of 
these various sections are protected by stringent confidentiality 
constraints, the FTC Act and the Commission's rules authorize 
disclosure in limited circumstances (e.g., official requests by 
Congress, requests from other agencies for law enforcement purposes, 
and administrative or judicial proceedings). Even in those limited 
contexts, however, the Commission's rules may afford protections to the 
submitter, such as advance notice to seek a protective order in 
litigation. See 15 U.S.C. 57b-2; 16 CFR 4.9-4.11.
    Finally, the information presented in the report will not reveal 
company-specific data, except data that are public. See 15 U.S.C. 57b-
2(d)(1)(B). Rather, the Commission anticipates providing information on 
an anonymous or aggregated basis, in a manner sufficient to protect 
individual companies' confidential information, to provide a factual 
summary of e-cigarette industry marketing activities and sales.

V. Instructions for Submitting Comments

    You can file a comment online or on paper. For the Commission to 
consider your comment, we must receive it on or before December 2, 
2016. Write ``Electronic Cigarettes: Paperwork Comment, FTC File No. 
P114504'' on your comment. Your comment--including your name and your 
state--will be placed on the public record of this proceeding, 
including to the extent practicable, on the public Commission Web site, 
at http://www.ftc.gov/os/publiccomments.shtm. As a matter of 
discretion, the Commission tries to remove individuals' home contact 
information from comments before placing them on the Commission Web 
site.
    Because your comment will be made public, you are solely 
responsible for making sure that your comment does not include any 
sensitive personal information, like anyone's Social Security number, 
date of birth, driver's license number or other state identification 
number or foreign country equivalent, passport number, financial 
account number, or credit or debit card number. You are also solely 
responsible for making sure that your comment does not include any 
sensitive health information, like medical records or other 
individually identifiable health information. In addition, do not 
include any ``[t]rade secret or any commercial or financial information 
which is . . . privileged or confidential'' as provided in Section 6(f) 
of the FTC Act 15 U.S.C. 46(f), and FTC Rule 4.10(a)(2), 16 CFR 
4.10(a)(2). In particular, do not include competitively sensitive 
information such as costs, sales statistics, inventories, formulas, 
patterns, devices, manufacturing processes, or customer names.
    If you want the Commission to give your comment confidential 
treatment, you must file it in paper form, with a request for 
confidential treatment, and you have to follow the procedure explained 
in FTC Rule 4.9(c).\34\ Your comment will be kept confidential only if 
the FTC General Counsel grants your request in accordance with the law 
and the public interest.
---------------------------------------------------------------------------

    \34\ In particular, the written request for confidential 
treatment that accompanies the comment must include the factual and 
legal basis for the request, and must identify the specific portions 
of the comment to be withheld from the public record. See FTC Rule 
4.9(c), 16 CFR 4.9(c).
---------------------------------------------------------------------------

    Postal mail addressed to the Commission is subject to delay due to 
heightened security screening. As a result, we encourage you to submit 
your comments online. To make sure that the

[[Page 76357]]

Commission considers your online comment, you must file it at https://ftcpublic.commentworks.com/ftc/electroniccigarettespra2, by following 
the instructions on the web-based form. When this Notice appears at 
http://www.regulations.gov/#!home, you also may file a comment through 
that Web site.
    If you file your comment on paper, write ``Electronic Cigarettes: 
Paperwork Comment, FTC File No. P114504'' on your comment and on the 
envelope. You can mail your comment to the following address: Federal 
Trade Commission, Office of the Secretary, 600 Pennsylvania Avenue NW., 
Suite CC-5610 (Annex J), Washington, DC 20580, or deliver your comment 
to the following address: Federal Trade Commission, Office of the 
Secretary, Constitution Center, 400 7th Street SW., 5th Floor, Suite 
5610 (Annex J), Washington, DC 20024.
    The FTC Act and other laws that the Commission administers permit 
the collection of public comments to consider and use in this 
proceeding as appropriate. The Commission will consider all timely and 
responsive public comments that it receives on or before December 2, 
2016. For information on the Commission's privacy policy, including 
routine uses permitted by the Privacy Act, see http://www.ftc.gov/ftc/privacy.htm.
    Comments on the information collection requirements subject to 
review under the PRA should additionally be submitted to OMB. If sent 
by U.S. mail, they should be addressed to Office of Information and 
Regulatory Affairs, Office of Management and Budget, Attention: Desk 
Officer for the Federal Trade Commission, New Executive Office 
Building, Docket Library, Room 10102, 725 17th Street NW., Washington, 
DC 20503. Comments sent to OMB by U.S. postal mail, however, are 
subject to delays due to heightened security precautions. Thus, 
comments instead should be sent by facsimile to (202) 395-5806.

David C. Shonka,
Acting General Counsel.
[FR Doc. 2016-26486 Filed 11-1-16; 8:45 am]
BILLING CODE 6750-01-P



                                                76348                    Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices

                                                FEDERAL DEPOSIT INSURANCE                               owned by the bank holding company,                    information requests to marketers of
                                                CORPORATION                                             including the companies listed below.                 electronic cigarettes (‘‘e-cigarettes’’).
                                                                                                          The applications listed below, as well              The FTC proposes to issue compulsory
                                                Notice to All Interested Parties of the                 as other related filings required by the              process orders to up to 15 e-cigarette
                                                Termination of the Receivership of                      Board, are available for immediate                    manufacturers, distributors, and
                                                10299—WestBridge Bank and Trust                         inspection at the Federal Reserve Bank                marketers per year for information
                                                Company, Chesterfield, Missouri                         indicated. The applications will also be              concerning, among other things, data on
                                                   Notice is hereby given that the Federal              available for inspection at the offices of            annual sales and marketing
                                                Deposit Insurance Corporation (‘‘FDIC’’)                the Board of Governors. Interested                    expenditures. The Commission intends
                                                as Receiver for WestBridge Bank & Trust                 persons may express their views in                    to ask OMB for a three-year clearance to
                                                Company, Chesterfield, Missouri (‘‘the                  writing on the standards enumerated in                collect this information.
                                                Receiver’’) intends to terminate its                    the BHC Act (12 U.S.C. 1842(c)). If the               DATES: Comments on the proposed
                                                receivership for said institution. The                  proposal also involves the acquisition of             information requests must be received
                                                FDIC was appointed receiver of                          a nonbanking company, the review also                 on or before December 2, 2016.
                                                WestBridge Bank and Trust Company                       includes whether the acquisition of the               ADDRESSES: Interested parties may file a
                                                on October 15, 2010. The liquidation of                 nonbanking company complies with the                  comment online or on paper, by
                                                the receivership assets has been                        standards in section 4 of the BHC Act                 following the instructions in the
                                                completed. To the extent permitted by                   (12 U.S.C. 1843). Unless otherwise                    Request for Comment part of the
                                                available funds and in accordance with                  noted, nonbanking activities will be                  SUPPLEMENTARY INFORMATION section
                                                law, the Receiver will be making a final                conducted throughout the United States.               below. Write ‘‘Electronic Cigarettes:
                                                                                                          Unless otherwise noted, comments                    Paperwork Comment, FTC File No.
                                                dividend payment to proven creditors.
                                                   Based upon the foregoing, the                        regarding each of these applications                  P14504,’’ on your comment. File your
                                                Receiver has determined that the                        must be received at the Reserve Bank                  comment online at https://
                                                continued existence of the receivership                 indicated or the offices of the Board of              ftcpublic.commentworks.com/ftc/
                                                will serve no useful purpose.                           Governors not later than November 29,                 electroniccigarettespra2 by following
                                                Consequently, notice is given that the                  2016.                                                 the instructions on the web-based form.
                                                                                                          A. Federal Reserve Bank of Dallas                   If you prefer to file your comment on
                                                receivership shall be terminated, to be
                                                                                                        (Robert L. Triplett III, Senior Vice                  paper, mail your comment to the
                                                effective no sooner than thirty days after
                                                                                                        President) 2200 North Pearl Street,                   following address: Federal Trade
                                                the date of this Notice. If any person
                                                                                                        Dallas, Texas 75201–2272:                             Commission, Office of the Secretary,
                                                wishes to comment concerning the
                                                                                                          1. International Bancshares                         600 Pennsylvania Avenue NW., Suite
                                                termination of the receivership, such
                                                                                                        Corporation and IBC Subsidiary                        CC–5610 (Annex J), Washington, DC
                                                comment must be made in writing and
                                                                                                        Corporation, both of Laredo, Texas; to                20580, or deliver your comment to the
                                                sent within thirty days of the date of
                                                                                                        acquire International Bank of                         following address: Federal Trade
                                                this Notice to: Federal Deposit
                                                                                                        Commerce, Oklahoma City, Oklahoma.                    Commission, Office of the Secretary,
                                                Insurance Corporation, Division of                        B. Federal Reserve Bank of Chicago
                                                Resolutions and Receiverships,                                                                                Constitution Center, 400 7th Street SW.,
                                                                                                        (Colette A. Fried, Assistant Vice                     5th Floor, Suite 5610 (Annex J),
                                                Attention: Receivership Oversight                       President) 230 South LaSalle Street,
                                                Department 34.6, 1601 Bryan Street,                                                                           Washington, DC 20024.
                                                                                                        Chicago, Illinois 60690–1414:
                                                Dallas, TX 75201.                                                                                             FOR FURTHER INFORMATION CONTACT:
                                                                                                          1. Fentura Financial, Inc., Fenton,
                                                   No comments concerning the                           Michigan; to acquire 100 percent of                   Requests for additional information
                                                termination of this receivership will be                Community Bancorp, Inc., and thereby                  should be addressed to Elizabeth Sanger
                                                considered which are not sent within                    indirectly acquire Community State                    or Rosemary Rosso, Division of
                                                this time frame.                                        Bank both of Saint Charles, Michigan.                 Advertising Practices, Bureau of
                                                  Dated: October 28, 2016.                                                                                    Consumer Protection, Federal Trade
                                                                                                          Board of Governors of the Federal Reserve           Commission. Telephone: (202) 326–
                                                Federal Deposit Insurance Corporation.                  System, October 28, 2016.
                                                Valerie J. Best,
                                                                                                                                                              2757 (Sanger) or (202) 326–2174
                                                                                                        Yao-Chin Chao,                                        (Rosso).
                                                Assistant Executive Secretary.                          Assistant Secretary of the Board.
                                                [FR Doc. 2016–26482 Filed 11–1–16; 8:45 am]                                                                   SUPPLEMENTARY INFORMATION:
                                                                                                        [FR Doc. 2016–26470 Filed 11–1–16; 8:45 am]
                                                BILLING CODE 6714–01–P                                  BILLING CODE 6210–01–P                                I. Background
                                                                                                                                                                 In the past few years, sales of e-
                                                                                                                                                              cigarettes have grown rapidly in the
                                                FEDERAL RESERVE SYSTEM                                  FEDERAL TRADE COMMISSION                              United States.1 These devices are
                                                Formations of, Acquisitions by, and                                                                           available in both disposable and
                                                                                                        Agency Information Collection                         refillable models, in a range of nicotine
                                                Mergers of Bank Holding Companies                       Activities; Proposed Collection;                      strengths (including nicotine-free), and
                                                  The companies listed in this notice                   Comment Request                                       in a multitude of flavors. E-cigarettes are
                                                have applied to the Board for approval,                 AGENCY:   Federal Trade Commission                    manufactured, distributed, and sold by
                                                pursuant to the Bank Holding Company                    (‘‘FTC’’ or ‘‘Commission’’).                          a wide variety of industry members,
                                                Act of 1956 (12 U.S.C. 1841 et seq.)                    ACTION: Notice.                                       ranging from large companies, including
                                                (BHC Act), Regulation Y (12 CFR part
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                                                                                                                                                              major U.S. tobacco companies, to small,
                                                225), and all other applicable statutes                 SUMMARY:  The FTC is submitting the                   single-location operators. They can be
                                                and regulations to become a bank                        information collection requirements
                                                holding company and/or to acquire the                   described below to the Office of                        1 These products are most commonly referred to

                                                assets or the ownership of, control of, or              Management and Budget (‘‘OMB’’) for                   as e-cigarettes, but sometimes also are referenced as
                                                                                                                                                              vape pens, personal vaporizers, e-hookah, and
                                                the power to vote shares of a bank or                   review, as required by the Paperwork                  electronic nicotine delivery systems. This
                                                bank holding company and all of the                     Reduction Act (‘‘PRA’’). The FTC is                   information collection would cover all such
                                                banks and nonbanking companies                          seeking public comments on proposed                   products, regardless of how they are referenced.



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                                                                          Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices                                                 76349

                                                purchased at conventional retail stores,                discussed below, 37 comments were                      Inc. (‘‘Ho-Chunk’’); (4) Fontem US, Inc.
                                                at ‘‘vape shops,’’ which are retail stores              received.                                              (‘‘Fontem’’), and (5) Logic Technology
                                                that primarily or exclusively sell e-                      Pursuant to the OMB regulations that                Development LLC (‘‘Logic’’). None of
                                                cigarettes, and online.                                 implement the PRA (5 CFR part 1320),                   these comments expressly opposed the
                                                   For many years, the Commission has                   the FTC is providing this second                       proposed data collection, although two
                                                published reports on sales and                          opportunity for public comment while                   companies questioned whether the data
                                                marketing expenditures by the major                     requesting that the OMB grant the                      collection was premature given the
                                                cigarette and smokeless tobacco                         clearance for the proposed collection of               then-pending FDA deeming regulation
                                                manufacturers. These data allow the                     information. All comments should be                    that, among other provisions, asserts
                                                agency to analyze industry sales and                    filed as prescribed in the Request for                 regulatory authority over e-cigarettes
                                                assess how industry members allocate                    Comment part below, and must be                        and other tobacco products.8 Each
                                                their promotional activities and                        received on or before December 2, 2016.                industry comment made suggestions
                                                expenditures. The data also provide                                                                            that it asserted would enhance the
                                                information to policymakers and public                  II. Public Comments
                                                                                                                                                               quality, utility, and clarity of the
                                                health researchers that, in many                           The FTC received 37 comments in                     information to be collected and reduce
                                                instances, is not available from other                  response to the October 2015 Notice.4                  the burden on the respondents.
                                                sources. Given their increasing                         Of these, 20 comments expressly                           The remaining 12 comments did not
                                                prevalence, the Commission believes it                  supported and substantively addressed                  substantively address the proposed data
                                                is important and necessary for the                      the proposed data collection. A joint                  collection.
                                                agency to begin collecting information                  comment favoring the proposal was
                                                about e-cigarette sales and marketing                   submitted by the following public                      A. General Support for the Data
                                                activities. The Commission intends to                   health organizations: American                         Collection
                                                publish a report with the data it                       Academy of Pediatrics; the American                      In its October 2015 Notice, the FTC
                                                obtains,2 and to issue similar                          Heart Association; Campaign for                        sought comments regarding whether the
                                                information requests regularly in order                 Tobacco-Free Kids; Tobacco Control                     proposed collection is necessary.9 Many
                                                to track trends over time. The                          Legal Consortium; and Truth Initiative                 of the comments stated that the data
                                                information will be sought using                        (‘‘Joint Public Health Comment’’).                     collection would provide important
                                                compulsory process under Section 6(b)                   Comments supporting the proposal also                  information, especially given the
                                                of the Federal Trade Commission Act,                    were received from three individual                    increased use of e-cigarettes by youth,10
                                                15 U.S.C. 46(b).                                        public health or public interest                       and the limited availability of data on e-
                                                   The Commission intends to issue                      organizations.5 Favorable substantive                  cigarette advertising and marketing from
                                                information requests to up to 15                        comments were submitted by three                       other sources.11 The Joint Public Health
                                                industry members, including larger and                  government-related entities or                         Comment stated that the collected data
                                                smaller entities, and will seek                         individuals: National Association of                   could provide valuable information and
                                                information about the different types of                Attorneys General Tobacco Committee                    insights into the e-cigarette market and
                                                e-cigarette products marketed, certain                  (‘‘NAAG’’); the Oregon Public Health                   be used as a basis for public policy
                                                characteristics of those products, and                  Division; and the Comptroller of the                   decisions. The UNC comment stated
                                                information about marketing                             City of New York; and from three                       that the data collection would enable
                                                expenditures for broad categories of                    academic centers involved in public                    public health professionals to better
                                                media. While the data may not represent                 health and tobacco control issues.6 Ten                understand where e-cigarette
                                                overall sales and marketing activities for              individuals, many involved in local                    advertising and marketing dollars are
                                                the entire e-cigarette industry, the                    health education or tobacco control                    being spent, and to help develop
                                                information provided should provide a                   activities, filed individual comments                  specific interventions to prevent
                                                valuable snapshot of the current e-                     supporting the data collection.7                       underage use. The UCSF comment
                                                cigarette market, including its major                      Five comments were received from                    stated that the reports would enable
                                                players. Because the number of                          industry members: R.J. Reynolds Vapor                  retrospective assessment of advocacy
                                                separately incorporated companies                       Company and RAI Services Company                       activities and policy changes.
                                                affected by the Commission’s requests                   (‘‘Reynolds’’); Altria Client Services Inc.              A number of comments made
                                                will exceed nine entities, the                          and Nu Mark LLC (‘‘Altria’’); Rock River               favorable comparisons between the
                                                Commission is seeking OMB clearance                     Manufacturing, the tobacco products                    proposed collection of information on e-
                                                under the PRA before requesting any                     manufacturing division of Ho-Chunk,                    cigarette sales and marketing
                                                information from the industry                                                                                  expenditures and the FTC’s existing
                                                members.3 On October 27, 2015, as                          4 See https://www.ftc.gov/policy/public-
                                                                                                                                                               reports on cigarettes and smokeless
                                                required by the PRA, the FTC published                  comments/initiative-626.                               tobacco, noting that the existing reports
                                                a Federal Register Notice seeking                          5 Comments by Campaign for Tobacco-Free Kids
                                                                                                                                                               are widely used by public health
                                                comments from the public concerning                     (‘‘CTFK’’); American Lung Association; and Truth
                                                the proposed collection of information                  In Advertising, Inc.
                                                                                                           6 Comment by Georgia State University Tobacco          8 FDA has since issued its final regulation:
                                                from e-cigarette marketers. See 80 FR                   Center of Regulatory Science (‘‘Georgia State’’);      Deeming Tobacco Products To Be Subject to the
                                                65758 (‘‘October 2015 Notice’’). As                     Comment by Glantz, et al., University of California,   Federal Food, Drug, and Cosmetic Act, as Amended
                                                                                                        San Francisco Tobacco Center for Regulatory            by the Family Smoking Prevention and Tobacco
                                                   2 The report would not disclose any company-         Science and Center for Tobacco Control Research        Control Act; Restrictions on the Sale and
                                                specific confidential data.                             and Education (‘‘UCSF’’); and Comment by Ribisl        Distribution of Tobacco Products and Required
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                                                   3 Under the PRA, 44 U.S.C. 3501–3521, federal        et al., University of North Carolina Gillings School   Warning Statements for Tobacco Products
                                                                                                        of Global Public Health (‘‘UNC’’).                     (‘‘Deeming Regulation’’), 81 FR 28974 (May 10,
                                                agencies must obtain approval from OMB for each
                                                                                                           7 Comments by K. Miloski (Riverhead Community       2016).
                                                ‘‘collection of information’’ they conduct or sponsor
                                                                                                                                                                  9 See 80 FR 65758 at 65759.
                                                if posed to ten or more entities within any twelve-     Awareness Program); L. Rotolo (TFAC); S. Hills; D.
                                                                                                                                                                  10 See, e.g., Joint Public Health Comment;
                                                month period. 44 U.S.C. 3502(3); 5 CFR 1320.3(c).       Moore (Tobacco Free Action Committee); S.
                                                ‘‘Collection of information’’ means agency requests     Fischer; A. Zanatta (Jewish Community Center); K.      comments from CTFK; UCSF; and Oregon Public
                                                or requirements that members of the public submit       Keenan (Roswell Park Cancer Institute), M. James       Health Division.
                                                reports, keep records, or provide information to a      (POW’R Against Tobacco); J. DiFranza; and T. Cain         11 See, e.g., Joint Public Health Comment;

                                                third party. 44 U.S.C. 3502(3); 5 CFR 1320.3(c).        (Anderson Aconee Behavioral Health).                   comments from CTFK; UNC; and Georgia State.



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                                                76350                     Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices

                                                professionals, researchers,                             proposed data collection could be                       (4) collect and report broad categories of
                                                policymakers, and government                            outweighed by the risk that a negative                  marketing expenditure data.
                                                agencies.12 These comments stated that                  public perception of e-cigarettes would                 1. Scope of the Data Collection
                                                expansion of data collection to e-                      damage the growth of the industry. The
                                                cigarettes is needed to inform these                    company expressed concern that the                         The Commission’s October 2015
                                                same stakeholders about the nature and                  FTC’s data collection could send a                      Notice anticipated collecting and
                                                extent of e-cigarette advertising and                   premature message that the industry is                  reporting data obtained from as many as
                                                marketing practices, and to allow them                  engaged in predatory marketing or that                  15 entities that would vary in size, in
                                                to monitor trends.13                                    there are as-yet-unknown health and                     the number of products sold, and in the
                                                  The FTC believes that these                           safety risks associated with the use of                 extent and variety of their advertising
                                                information requests are in the public                  these products.                                         and marketing.18 A number of
                                                interest and essential to the agency’s                                                                          comments recommended that the
                                                performance of its authority to                           The Commission intends to use the                     Commission expand the scope of the
                                                investigate and report publicly on                      data collection to provide useful                       data collection by including a broad
                                                industry practices that affect the                      baseline information (starting with 2015                cross-section of market participants,
                                                economic well-being of consumers.                       data) concerning sales of the various e-                including distributors and entities
                                                Consistent with the agency’s                            cigarette products and allow the                        whose products are sold in traditional
                                                information collection for cigarettes and               Commission to analyze how industry                      retail stores (e.g., convenience stores), as
                                                smokeless tobacco products, the data                    members allocate their promotional                      well as online sellers, and vape shops.
                                                will also provide important information                 activities and expenditures across                      To accomplish this goal, some
                                                for researchers and policymakers.                       various media. The data also will                       commenters recommended that the
                                                                                                        provide researchers and policymakers                    Commission increase the number of
                                                B. Utility of the Information Collection                with sales and marketing information                    entities from whom it would collect
                                                   The FTC’s October 2015 Notice also                   that will assist their research and                     data.
                                                sought comment on whether the                           regulatory efforts. The Commission does                    a. Type of Market Participant. A wide
                                                proposed data collection is necessary for               not believe that the data collection itself             range of commenters, including both
                                                the proper performance of the functions                 will create any negative public                         industry and public health
                                                of the FTC, including whether the                       perception of e-cigarettes or damage the                organizations and researchers,
                                                information will be practically useful.14               growth of the industry. In particular, the              recommended that the Commission
                                                The NAAG comment stated that the data                   proposal seeks sales and marketing                      expand the scope of the proposed data
                                                collection would greatly facilitate state               expenditure data only and does not                      collection by including a broad cross-
                                                efforts to better understand and                        include an inquiry into any hypothetical                section of market participants in the
                                                effectively regulate e-cigarettes. The                  predatory practices or health or safety                 entities surveyed through the data
                                                Joint Public Health Comment and the                     information. In addition, the data                      collection. Logic recommended that the
                                                Georgia State comment noted that the                    collection here is very similar in content              FTC seek a broader cross-section of the
                                                FTC’s report would facilitate research                  and methodology to studies that the                     market. Fontem commented that vape
                                                into e-cigarette marketing because it                   Commission for many years has                           shops comprise a large percentage of the
                                                would provide access to data that are                   undertaken with respect to other                        market, and noted that the data
                                                otherwise unavailable from commercial                   markets, including cigarettes and                       collection would not be meaningful if
                                                sources, which tend to focus on larger                  smokeless tobacco products (OMB                         vape shops were not included. Altria
                                                companies and traditional distribution                  Control No. 3084–0134); alcoholic                       also suggested that the FTC send data
                                                channels such as convenience stores.                    beverages (OMB Control No. 3084–                        requests to a selection of vape shops.
                                                The UCSF comment states that scholarly                  0138); and food (OMB Control No.                        Reynolds recommended that the
                                                research of e-cigarette marketing would                 3084–0139).                                             Commission differentiate the
                                                be best served by reliable data, such as                                                                        information requests by type of market
                                                data collected directly from members of                 C. Suggestions To Improve the                           participant, reasoning that such
                                                the e-cigarette market. Individual public               Information Collection                                  segmentation would present less need
                                                health educators commented that a                                                                               for highly differentiated sales and
                                                report on e-cigarette sales and marketing                 In its October 2015 Notice, the FTC                   marketing data. The Joint Public Health
                                                would facilitate their local and state                  invited comments concerning ways to                     Comment recommended that the FTC
                                                health education work, which in turn                    enhance the quality, utility, and clarity               survey a selection of large companies, as
                                                informs evidence-based policymaking                     of the information to be collected.17 The               well as a geographically dispersed
                                                and regulatory action.15 One drug                       FTC received substantive comments for                   selection of e-cigarette manufacturers,
                                                prevention specialist stated that a report              enhancing its proposed data collection                  distributors, and retailers (including
                                                on e-cigarette sales and marketing                      as follows: (1) Expand the scope of the                 online sellers and vape shops) in order
                                                expenditures would also inform                          proposed data collection by collecting                  to get a cross-section of market
                                                advocacy work and counter-marketing                     data from a broad cross-section of                      participants. The UNC comment
                                                strategies to discourage youth and other                market participants and increasing the                  recommended that the proposed data
                                                vulnerable populations from using e-                    number of surveyed entities; (2) collect                collection differentiate the method of
                                                cigarettes.16                                           and report data on a state-by-state basis;              sale (distributors, online, retail) so that
                                                   One industry member, Ho-Chunk,                       (3) collect and report sales data that are              subsequent enforcement efforts can be
                                                questioned whether the value of the                     segmented by product type,
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                                                                                                                                                                tailored appropriately. Georgia State and
                                                                                                        differentiates product characteristics                  one individual also recommended that
                                                  12 See, e.g., Joint Public Health Comment;
                                                                                                        such as flavors and nicotine strength,                  the Commission differentiate by method
                                                comments from Oregon Public Health Division; M.         that include data on refills and
                                                James; D. Moore; S. Fisher; S. Hills; and L. Rotolo.
                                                                                                                                                                of sale. Another individual
                                                  13 See, e.g., comment from CTFK.                      cartridges, and that report sales data                  recommended that the data requests
                                                  14 80 FR 65758 at 65759.                              separately from product give-aways; and                 segment market participants into two
                                                  15 See, e.g., comments by L. Rotolo and M. James.
                                                  16 See comment by T. Cain.                              17 80   FR 65758 at 65759.                              18 Id.   at 65760.



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                                                                         Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices                                                 76351

                                                groups: Those that sell only e-cigarette                recommended that the FTC send data                    marketed. Reynolds noted that three
                                                products and those that sell e-cigarettes               requests to more than 15 entities.                    general categories of e-cigarette products
                                                and other tobacco products.                               As discussed above, reliable data                   are currently available: (1) Disposable
                                                   The Commission agrees that seeking                   permitting the Commission to identify a               products, (2) rechargeable and pre-filled
                                                data from a broad cross-section of the                  representative sample of a broad cross-               cartridge products, and (3) ‘‘tank’’
                                                overall market, including distributors to               section of the market do not appear to                products that require the user to put e-
                                                conventional retail sellers, online                     be available at this time. As a result, the           liquid into an aerosol-generating device.
                                                sellers, and vape shops, would provide                  Commission does not believe it                        The Joint Public Health Comment
                                                a fuller perspective on the overall e-                  necessary to increase the number of                   recommended that the Commission
                                                cigarette market. However, the                          entities from whom it will seek to                    require responders to report separately
                                                Commission was not able to find                         collect and report data.                              by product type.21 The UNC comment
                                                sufficient, reliable market data that                   2. State-By-State Data Collection                     also supported separate reporting by
                                                would permit it to identify and select                                                                        product type, noting that separate
                                                which smaller online sellers and vape                      The FTC’s October 2015 Notice asked                reporting can be useful to track changes
                                                shops should receive data requests. The                 whether the agency should seek data on                in popularity and use. Similarly, the
                                                available data from which the                           state-by-state sales of e-cigarettes.19               UCSF comment supported separate
                                                Commission could identify a sample of                   Altria recommended that the                           reporting as a means to help evaluate
                                                online sellers or vape shops are so                     Commission consider conducting a                      how changes in sales of different
                                                limited and insufficient that any                       state-by-state analysis given the highly              products correspond to changes in use.
                                                separate samples of these sellers would                 fragmented nature of the overall market.                 Reynolds recommended against
                                                at best provide anecdotal information.                  Comments from public health                           differentiating by product type, noting
                                                                                                        organizations and research centers also               that the different products generally
                                                   In contrast, the available market data
                                                                                                        supported state-by-state data collection              could be categorized by the retail market
                                                do permit a reliable sample of the
                                                                                                        for sales and, in some comments, also                 where the products are sold, with
                                                largest e-cigarette marketers and some
                                                                                                        for marketing expenditures.20 The UNC                 conventional retail stores selling
                                                online sellers. The Commission believes
                                                                                                        comment noted that reporting state-by-                disposable and rechargeable products,
                                                that a sample of these companies will
                                                                                                        state data would help tobacco control                 and ‘‘vape stores’’ selling tank products.
                                                account for at least 80 percent of the
                                                                                                        professionals understand which states                 Reynolds preferred categorizing by type
                                                conventional retail market and a sizable
                                                                                                        and regions have the greatest sales, and              of marketer rather than type of product.
                                                share of the online market. Thus, the
                                                                                                        help them target their tobacco control                   Given the wide variety of products
                                                data will provide useful information
                                                                                                        efforts accordingly. The Oregon Public                available, the Commission believes that
                                                concerning at least this large subset of
                                                                                                        Health Division and Georgia State                     separate reporting by product type will
                                                the overall market. At the same time, the
                                                                                                        comments noted that state-by-state data               be useful and important in tracking
                                                Commission remains interested in
                                                                                                        would be useful in evaluating the                     future developments in the e-cigarette
                                                collecting and reporting sales and
                                                                                                        impact of state and local regulatory                  market. Thus, the proposed data
                                                marketing expenditure data from a
                                                                                                        efforts. Reynolds opposed state-by-state              collection contemplates separate
                                                broader cross-section of the market.
                                                                                                        data collection, stating that such data               reporting across three categories: (1)
                                                Should more reliable market data
                                                                                                        were not readily available for e-                     Non-refillable (i.e., disposable)
                                                become available, the Commission may
                                                                                                        cigarettes sold through distributors who              products; (2) refillable closed systems
                                                seek OMB clearance to collect sales and
                                                                                                        sell such products in more than one                   (i.e., rechargeable and refillable
                                                marketing expenditure data for a
                                                                                                        state. Reynolds further stated that there             cartridge products); and (3) refillable
                                                broader cross-section of companies at
                                                                                                        are no efficient and reliable means to                open systems (i.e., ‘‘tank’’ systems).
                                                such time, and would report on the data                                                                          b. Differentiation by Flavors.
                                                                                                        obtain state-by-state data.
                                                received.                                                  Although the Commission agrees that                Comments from public health
                                                   b. Number of Entities Submitting                     state-by-state data collection could                  organizations, research centers, and
                                                Data. To capture data from a broad                      provide useful information, such data                 health educators recommended that the
                                                cross-section of market participants,                   collection would significantly increase               Commission seek sales data that are
                                                several commenters recommended that                     the complexity and burden of the data                 differentiated by their various
                                                the Commission collect data from more                   requests and might not be readily                     characterizing flavors.22 The Joint
                                                than 15 entities, the number identified                 practical for some e-cigarette sellers.               Public Health Comment stated that
                                                in the October 2015 Notice. Altria                      Thus, the Commission has decided                      flavors appear to be one of the reasons
                                                recommended increasing the number                       against requesting approval for state-by-             youth and adults try e-cigarettes. The
                                                beyond 15 entities given industry                       state data collection at this time. The               CTFK comment stated that the available
                                                fragmentation and the increased market                  Commission remains interested in this                 data suggest that flavors are a key reason
                                                presence of vape shops. Reynolds                        issue, however, and could request OMB                 youth try and use e-cigarettes, citing the
                                                questioned whether data collection from                 clearance to collect state-by-state data in           2013–2014 Population Assessment of
                                                15 entities would be sufficient to allow                the future.                                           Tobacco and Health (‘‘PATH’’) study,
                                                the FTC to characterize overall market                                                                        which showed that most youth smoked
                                                sales and marketing activities. Logic                   3. Collection of Sales Data
                                                                                                                                                              flavored e-cigarettes when they first
                                                stated that the proposed data collection                   a. Type of Product. A number of                    tried the product and during the past
                                                was under-inclusive because too few                     commenters noted the wide variety of                  month. The comment also cited data
                                                companies would be required to report
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                                                                                                        different e-cigarette products currently
                                                data. The Georgia State and Truth In                                                                            21 Other commenters also supported separate
                                                Advertising comments stated that                          19 80 FR 65758 at 65759.                            reporting generally. See comments from CTFK;
                                                expanding the data collection beyond 15                   20 See Joint Public Health Comment, recognizing     American Lung Ass’n; NAAG; L. Rotolo; and S.
                                                entities would provide a fuller                         that certain marketing expenditures made on a         Fisher.
                                                                                                        national level could not be reported on a state-by-     22 See Joint Public Health Comment, and
                                                perspective and more accurate                           state basis. See also comments from Oregon Public     comments from CTFK; American Lung Ass’n;
                                                representation of the overall market.                   Health Division; UNC; Georgia State; UCSF; and T.     NAAG; UNC; UCSF; Georgia State; M. James; and
                                                The Joint Public Health Comment also                    Cain.                                                 L. Rotolo.



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                                                76352                    Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices

                                                from the PATH study indicating that                     data. The FTC will take into account the              data separately.23 CTFK noted that
                                                surveyed youth reported ‘‘comes in                      various comments received in the                      currently only limited data are available
                                                flavors that I like’’ as one of the reasons             course of developing its report on the                concerning market size and that current
                                                they used e-cigarettes. The Georgia State               data collection.                                      estimates do not differentiate between
                                                comment stated that data differentiated                    d. Cartridges and Refills. Several                 sales and give-aways.24 The UNC
                                                by flavors would help regulators and the                commenters addressed the                              comment stated that collecting sales and
                                                public health community determine the                                                                         give-away data and reporting those data
                                                                                                        Commission’s request for comments on
                                                role flavors play in patterns or reasons                                                                      separately is important for evaluating
                                                                                                        the collection of data concerning refills,
                                                for use, perceptions of harm, and social                                                                      which products are most frequently
                                                                                                        especially with regard to refillable
                                                norms.                                                                                                        purchased, and the Georgia State
                                                   Reynolds and Fontem opposed the                      products sold with more than one refill               comment noted that reporting the data
                                                collection of detailed flavor data.                     unit. E-cigarette products, other than                separately more accurately reflects
                                                Fontem noted that there is no                           disposable products, are often marketed               market transactions. The UCSF
                                                standardized method of reporting                        to consumers with the device, battery,                comment stated that give-aways are
                                                flavors across the industry, and both                   atomizer, and one or more refill units                important to identify separately given
                                                stated that characterizing flavors is                   sold together in a single package. The                their potential to reach youth under the
                                                subjective. Reynolds stated that the                    Joint Public Health Comment stated that               age of 18.
                                                utility of seeking flavor data is not clear.            any cartridge or liquid unit above one                  The Commission agrees that data on
                                                   Given the potential importance of                    should be counted as a refill, regardless             sales and give-aways should be
                                                flavors for trial and use of e-cigarettes,              of whether it is packaged as part of the              collected and reported separately given
                                                especially among youth, the                             same stock keeping unit (‘‘SKU’’) or sold             the distinct role each plays in the
                                                Commission will seek to collect data                    individually. Fontem stated that there is             overall market. In addition, the agency
                                                that differentiate among flavors.                       no consistency among marketers as to                  collects and reports data on sales and
                                                However, as discussed infra at section                  blister packs or refills that come in a               give-aways separately in its data
                                                II.D.2, to reduce the burden, the                       single package. Thus, Fontem                          collection for cigarettes and smokeless
                                                proposed data collection will designate                 questioned whether gathering                          tobacco products and, therefore,
                                                only three flavor categories, rather than               information on refills would yield                    separate collection and reporting will be
                                                requiring companies to report each                      meaningful information. The company                   consistent with the approach taken for
                                                flavor individually.                                    recommended that if the Commission                    these other tobacco products.
                                                   c. Differentiation by Nicotine                       opted to track refills, that it simply track
                                                Strength. The comments from public                                                                            4. Collection of Marketing Data
                                                                                                        the total number of refills. Reynolds
                                                health organizations, research centers,                 recommended that for products sold                       A number of comments supported
                                                and NAAG supported the collection of                                                                          data collection for the various media
                                                                                                        with more than one cartridge, the FTC
                                                data on nicotine content levels. The                                                                          specifically identified in the FTC’s
                                                                                                        should abide by the product
                                                Georgia State comment indicated that                                                                          October 2015 Notice, as well as other
                                                                                                        configuration as sold to consumers, i.e.,
                                                research suggests nicotine levels are                                                                         marketing channels.25 The NAAG
                                                                                                        allow companies to use the SKUs for                   comment stated that collection and
                                                related to patterns or reasons for use.
                                                The CTFK comment stated that e-                         reporting. Reynolds stated that relying               reporting of broad categories of
                                                cigarettes contain highly variable                      on existing SKUs would allow                          marketing expenditure data would be
                                                amounts of nicotine, and there are no                   responders to use existing records to                 useful not only to the public but also to
                                                reliable data providing information                     produce data and, thus, would be                      state officials who are assessing
                                                about nicotine strength. The UNC                        simpler and clearer.                                  regulatory options and enforcement
                                                comment indicated that information                         On balance, requiring companies to                 efforts.
                                                about nicotine strength could be                        report the total number of refill units                  The Joint Public Health Comment and
                                                valuable for determining equivalence to                 will provide a more accurate picture of               the CTFK comment stated that it is
                                                conventional tobacco products and for                   e-cigarette sales. Thus, if an e-cigarette            important to collect marketing
                                                consideration of potential long-term                    product is sold with more than one                    expenditures for television, radio, and
                                                health risks. The UCSF comment noted                    cartridge or e-liquid unit, each cartridge            other broadcast media, noting that
                                                that nicotine content data could                        or unit above one should be reported as               unlike cigarettes and smokeless tobacco
                                                facilitate the testing of competing                     a refill. Likewise, each cartridge or e-              products, no statutory broadcast ban
                                                hypotheses as to the effect of nicotine                 liquid unit sold individually also would              applies to e-cigarettes. Several
                                                regulation on use.                                      count as a refill. In addition, the
                                                   Fontem and Reynolds opposed                          Commission believes this approach is
                                                                                                                                                                 23 See Joint Public Health Comment; see also

                                                                                                                                                              comments from CTFK; UNC; UCSF; Georgia State;
                                                collection of data concerning nicotine                  consistent with the approach it has                   American Lung Ass’n; and NAAG.
                                                strength. Fontem commented that                         taken with regard to the collection of                   24 The CTFK comment and the Joint Public Health
                                                collection of nicotine content data                     sales data for other tobacco products.                Comment also noted that collecting data on give-
                                                would not be useful because there is no                 For example, if three pouches of                      aways was especially important because at the time
                                                standardized method of reporting                                                                              there were no national restrictions on free sampling.
                                                                                                        smokeless tobacco are packaged together               These comments noted that such restrictions would
                                                nicotine content across the industry.                   as a single unit for sale to consumers,               not take effect until FDA issued its final Deeming
                                                Reynolds also questioned whether                        the Commission’s compulsory process                   Regulation that, among other things, asserted
                                                nicotine content data would provide                     orders have required a responding
                                                                                                                                                              jurisdiction over e-cigarettes and other tobacco
                                                                                                                                                              products. As noted supra note 7, FDA has now
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                                                useful information.                                     company to report each pouch                          issued its Deeming Regulation. As a result of this
                                                   The Commission believes that                         separately, for a total of three units.               regulation, the national ban on the distribution of
                                                collection of data concerning nicotine                                                                        free samples will apply to all tobacco products. 90
                                                strength will provide useful information                   e. Sales and Give-Aways. Comments                  FR 28974 at 29054; 21 CFR 1140.16(d). The
                                                that is not readily available from other                from public health organizations and                  prohibition on free sampling took effect on August
                                                                                                        research centers generally supported the              8, 2016. 90 FR 28974 at 28976.
                                                sources. The agency does not believe                                                                             25 See, e.g., Joint Public Health Comment;
                                                that the lack of a standardized reporting               collection of data on both sales and                  comments from CTFK; Oregon Public Health
                                                method invalidates the utility of these                 give-aways and the reporting of these                 Division; American Lung Ass’n; and NAAG.



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                                                                         Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices                                               76353

                                                comments specifically noted the                         Commission will seek to collect and                     on reporting companies, and will use
                                                importance of collecting and reporting                  report data for marketing expenditures                  these categories in the data collection, if
                                                data for marketing expenditures for                     on broadcast media such as television                   approved.
                                                media especially attractive to youth,                   and radio because, unlike cigarettes and                   The Joint Public Health Comment and
                                                such as point-of-sale advertising,26                    smokeless tobacco products, no statute                  the CTFK comment also indicated that
                                                sponsorship of concerts and other                       prohibits using these media to advertise                reporting nicotine strength by categories
                                                events as well as sports teams or                       and market e-cigarettes. Second, some of                might be sufficient and would reduce
                                                individual athletes or drivers,27 and                   the categories have been updated to                     the reporting burden on responding
                                                celebrity endorsers.28 Several comments                 explicitly recognize newer forms of                     entities. The UCSF comment, on the
                                                specifically identified product                         media now used for advertising and                      other hand, recommended that the
                                                placement as a category where                           marketing, such as digital and social                   Commission require companies to
                                                marketing expenditures should be                        media.                                                  report each different nicotine strength.
                                                collected and reported,29 with the Joint                                                                        Categorizing nicotine strengths would
                                                                                                        D. Suggestions To Minimize the Burden
                                                Public Health Comment noting that                                                                               require consultation with scientific
                                                                                                        of the Information Collection
                                                expenditures for all forms of product                                                                           authorities to determine the appropriate
                                                placement should be collected,                            The Commission’s October 2015
                                                                                                                                                                categories for reporting. In addition,
                                                including product placement                             Notice invited comments on ways to
                                                                                                                                                                reporting in categories could blur trends
                                                expenditures for broadcast media,                       minimize the burden of the collection of
                                                                                                                                                                over time due to inherent imprecision.
                                                movies, digital, and other media. The                   information on entities required to
                                                                                                                                                                Thus, the Commission plans to require
                                                Georgia State comment supported                         respond to the data requests.31
                                                                                                                                                                reporting for each individual nicotine
                                                detailed data collection for web-based                  1. Defer Data Collection Until Issuance                 strength sold by the reporting entity,
                                                and social media marketing                              of FDA Final Deeming Regulation                         rather than for categories. Once the
                                                expenditures, noting that availability of                                                                       Commission has these data, it will
                                                these data from commercial data sources                    Reynolds and Fontem suggested that
                                                                                                        the Commission defer its data collection                consider how best to organize and
                                                is limited. Fontem recommended that                                                                             discuss them in the course of
                                                the FTC include couponing as a                          until after FDA issued its final Deeming
                                                                                                        Regulation. Reynolds noted that the                     developing its report.
                                                category of marketing expenditures; the
                                                UCSF and Georgia State comments                         final regulation would clarify the scope                3. Narrow Scope of Data Requests by
                                                likewise identified coupons as well as                  and impact of FDA’s regulation of e-                    Requiring Less Specificity
                                                other forms of price promotion as                       cigarettes. As noted above, FDA issued
                                                                                                        its final regulation on May 10, 2016.                      Reynolds and Fontem each
                                                categories where the Commission                                                                                 recommended that the Commission
                                                should collect marketing expenditure                    There is no overlap between FDA’s
                                                                                                        regulation and the proposed data                        require less detail in the data requests
                                                data.                                                                                                           as a means of reducing the burden of
                                                   Reynolds recommended that the data                   collection. Accordingly, it is not
                                                                                                        necessary to defer the data collection.                 responding, and suggested that the
                                                collection focus on the marketing
                                                                                                                                                                collection of certain information might
                                                expenditure categories already used by                  2. Categorize Product Flavors and                       not be useful. Fontem suggested that the
                                                the FTC in its data collection for                      Nicotine Strength                                       Commission not seek information
                                                cigarettes and smokeless tobacco
                                                                                                           As discussed above, the Commission                   concerning product flavors, nicotine
                                                products, noting that the Commission
                                                                                                        plans to collect data concerning e-                     strength, or blister packs and refills. The
                                                has decades of experience collecting
                                                                                                        cigarette flavors and nicotine strength.                company suggested that if the
                                                those data. One individual commenter
                                                                                                        To reduce the burden of reporting each                  Commission did decide to collect flavor
                                                also recommended that the Commission
                                                                                                        individual flavor, the Joint Public                     data, it require only two categories of
                                                seek and report the same categories of
                                                                                                        Health comment and comments from                        information: Tobacco and other. It also
                                                marketing expenditure data tracked for
                                                                                                        CTFK and the American Lung                              suggested that if the agency decided that
                                                cigarettes and smokeless tobacco
                                                                                                        Association recommended that                            some information about refills was
                                                products in order to facilitate
                                                                                                        companies report three categories of                    needed, it simply track total number of
                                                comparisons.30
                                                                                                        flavors: Tobacco, menthol/mint, and                     refills sold. Reynolds suggested that the
                                                   The Commission agrees that
                                                                                                        other. The Joint Public Health comment                  Commission model its requests on the
                                                collecting and reporting data for broad
                                                                                                        stated that these three categories would                information requests for cigarettes and
                                                categories of marketing expenditures
                                                                                                        most easily capture the breadth of                      smokeless tobacco products, and not
                                                will be useful, including data
                                                                                                        flavors available, and make it easier for               require differentiation by type of
                                                concerning traditional and newer
                                                                                                        the industry and the FTC to count all                   product, nicotine concentration, size,
                                                media, product placement, sponsorship,
                                                                                                        the flavors. CTFK noted that                            method of sale, and flavors. If the
                                                endorsements, and price promotions.
                                                                                                        categorizing in this manner would also                  Commission opted to seek information
                                                The agency will seek to collect
                                                                                                        eliminate the overlap that might result                 about flavors, Reynolds recommended
                                                marketing data in categories that
                                                                                                        from more limited flavor categories.                    that the agency request data based on
                                                generally track those used for cigarettes
                                                                                                        Comments from UCSF and NAAG, on                         brand style names and descriptions the
                                                and smokeless tobacco products, with
                                                                                                        the other hand, stated that the                         product manufacturers created to
                                                two primary differences. First, the
                                                                                                        Commission should collect data on each                  describe their products. For the reasons
                                                  26 See, e.g., Joint Public Health Comment.            individual flavor. Given the variety and                discussed above, the Commission
                                                                                                                                                                believes that the information collection
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                                                  27 See, e.g., Joint Public Health Comment,            number of different flavors, the
                                                comments from Oregon Public Health Division and         Commission believes that classifying e-                 should include information concerning
                                                NYC Office of the Comptroller.                          cigarettes into three categories of                     flavors, nicotine strength, refill units,
                                                  28 See, e.g., comments from Oregon Public Health
                                                                                                        flavors—tobacco, menthol/mint, and                      and other product characteristics.
                                                Division and NYC Office of the Comptroller.
                                                  29 See, e.g., Joint Public Health Comment,
                                                                                                        other—will provide useful information                   Collection of flavor information by
                                                comments from CTFK and Oregon Public Health             while significantly reducing the burden                 broad categories, rather than
                                                Division.                                                                                                       individually, will reduce the burden on
                                                  30 Comment by J. DiFranza.                              31 80   FR 65758 at 65759.                            responding to the information requests.


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                                                76354                    Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices

                                                4. Limit Information Collection to Age                  also specifying age verification for                      The Commission believes that its
                                                Screening and Ad Content Review                         online purchases. The Georgia State                     estimate burdens with respect to both
                                                   In its comment, Logic proposed that                  comment noted that data collection and                  average hours and labor costs are
                                                the Commission limit its information                    reporting for this category would be                    reasonable, especially in the absence of
                                                collection to data applicable to: (1)                   useful to determine whether more                        more specific information to calculate
                                                Youth access and (2) illegal, inaccurate,               stringent regulatory action was needed.                 estimates that are more precise.
                                                or deceptive advertising claims about e-                   The Commission agrees that data                      However, out of an abundance of
                                                cigarettes. According to Logic, these two               concerning age-verification methods                     caution, the Commission has revised its
                                                areas address the relevant societal issues              would be useful, and plans to collect                   burden estimate from that stated in the
                                                for information collection, consistent                  and report data concerning age-                         October 2015 Notice by increasing its
                                                                                                        screening mechanisms to prevent youth                   estimated hours burden by 50 percent.
                                                with the FTC’s mandate to prevent
                                                                                                        from being exposed to e-cigarette                       As revised, the Commission calculates a
                                                unfair or deceptive business practices.
                                                                                                        advertising and promotion or from                       per company average of 300 hours for
                                                Logic stated that collecting substantial
                                                                                                        obtaining free product samples.                         the first year, and 225 hours for each of
                                                data concerning sales and marketing
                                                                                                                                                                the two remaining years, resulting in a
                                                expenditures would represent a                          F. Accuracy of Estimated Burden of the                  cumulative total of 11,250 hours for 15
                                                substantial burden and, thus, suggested                 Information Collection                                  information requests over three years.
                                                that the Commission confine the
                                                                                                           The Commission’s October 2015                        The Commission has not changed is
                                                information sought to companies’ age-
                                                                                                        Notice invited comments on the                          average hourly cost estimate. The
                                                screening mechanisms and to
                                                                                                        accuracy of the agency’s estimate of the                Commission’s estimate is based on the
                                                production of their advertising                                                                                 assumption that the labor costs will
                                                campaigns for review to ensure they are                 burden of the proposed collection of
                                                                                                        information, including the validity of                  include varying compensation levels
                                                not making deceptive claims. The                                                                                among staff, management, and legal
                                                Commission disagrees with limiting the                  the methodology and assumptions
                                                                                                        used.32 The Commission estimated a per                  review, with most work performed by
                                                data collection to these two categories of                                                                      non-legal staff. In the absence of more
                                                information. Rather, broader                            company average of 200 hours for each
                                                                                                        recipient of an information request for                 precise data, the Commission believes
                                                information collection about sales and                                                                          that the same $100/hour wage that it
                                                marketing expenditures is in the public                 the first year, and a per company
                                                                                                        average of 150 hours for the remaining                  used in its recent application for
                                                interest, because it will allow the                                                                             reauthorization of information requests
                                                Commission to analyze sales and assess                  years. Thus, the total hours burden for
                                                                                                        15 information requests was estimated                   to cigarette and smokeless tobacco
                                                how industry members allocate their                                                                             companies is appropriate here as well.
                                                promotional activities and expenditures.                to be 3,000 hours for the first year, and
                                                                                                        2,250 for each of the subsequent two                    As discussed infra, however, the total
                                                For decades, the Commission has                                                                                 cost burden will increase due to the
                                                collected and reported information                      years, for a total of 7,500 hours. The
                                                                                                        Commission estimated that the total                     increase in the estimated hours burden.
                                                about sales and marketing expenditures
                                                for other tobacco products, as well as for              labor costs for 15 information requests                 G. Other Comments
                                                other consumer products, and the e-                     to be $300,000 for the first year, and                     The Joint Public Health Comment and
                                                cigarette information requests are                      $225,000 for each of the subsequent two                 the comments from CTFK and American
                                                consistent with the data collection and                 years, for a total of $750,000. This                    Lung Association recommended that the
                                                reporting for those products. Although                  estimate assumed an average $100/hour                   Commission coordinate its data
                                                the Commission agrees that preventing                   wage, which is the same estimated wage                  collection with FDA. The American
                                                false and deceptive advertising is an                   average used in the Commission’s recent                 Lung Association stated that
                                                important component of its consumer                     request for reauthorization of                          coordination might be mutually
                                                protection mission, law enforcement                     information requests to cigarette and                   beneficial for both agencies, and CTFK
                                                action against specific marketers, rather               smokeless tobacco companies.                            indicated that coordination might help
                                                than information collection, is a better                   The comment from Reynolds asserted                   assure consistency in measures. Altria
                                                means of addressing potentially unfair                  that the Commission had                                 also encouraged the Commission to
                                                or deceptive e-cigarette advertising.                   underestimated the total hours burden.                  consider how it would interact with
                                                                                                        The company stated that it usually takes                FDA once the Deeming Regulation was
                                                E. Age-Screening Mechanisms                             it twice as long as the FTC’s estimated                 issued. The FTC staff and FDA staff
                                                  In its October 2015 Notice, the                       time burden to compile information for                  already have a long tradition of working
                                                Commission anticipated that its data                    similar data collections for cigarette and              together on tobacco issues and the many
                                                collection requests would include                       smokeless tobacco companies. Reynolds                   other areas where the two agencies
                                                seeking information concerning efforts                  also stated that the FTC should include                 share jurisdiction. The FTC staff expects
                                                such as age-screening mechanisms to                     in its estimate the amount of time                      that tradition will continue. To the
                                                prevent youth from being exposed to                     companies will need to communicate                      extent that coordination is required for
                                                advertising and promotion of e-                         directly with Commission staff when                     specific issues concerning the proposed
                                                cigarettes or from obtaining free product               seeking clarification regarding the data                information collection, the agencies
                                                samples. One industry member, Logic,                    collection. Reynolds and Fontem                         already have processes and procedures
                                                supported data collection regarding age-                commented that the FTC’s labor cost                     in place to address those issues.
                                                verification methods, stating that many                 estimate also underestimates the total                     The Georgia State comment
                                                online sellers use no age-verification                  burden costs, stating that an average                   recommended that the FTC require
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                                                methods at all while conventional retail                wage of $100/hour was too low. Neither                  detailed brand-specific information,
                                                stores require rigorous age-verification.               company, however, provided an                           noting that the Commission’s reports for
                                                The Joint Public Health comment, and                    alternative figure or other information                 cigarettes and smokeless tobacco
                                                comments from CTFK, Georgia State,                      indicating what a more accurate hourly                  products report aggregated rather than
                                                UCSF, and one individual, also                          labor cost should be.                                   brand-specific data. The UCSF comment
                                                supported data collection for this                                                                              also recommended that the Commission
                                                category, with Georgia State and UCSF                     32 80   FR 65758 at 65759.                            collect and report brand-specific data.


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                                                                         Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices                                          76355

                                                The Commission’s compulsory process                       As noted earlier, the FTC received                  net sales revenues will be reported by
                                                orders to surveyed companies will                       twelve comments that did not address                  flavor only.
                                                collect brand-specific data. However,                   the proposed data collection. One                        The information requests also will
                                                because Section 6(f) of the FTC Act, 15                 individual raised concerns that some e-               seek information and data concerning
                                                U.S.C. 46(f), protects confidential                     cigarette marketers were making false                 advertising and marketing activities and
                                                commercial information that is                          claims that the products were effective               expenditures in a broad variety of media
                                                submitted to the Commission, the                        for smoking cessation, and four                       categories, including: (1) Radio,
                                                agency cannot publicly identify sales                   individuals indicated that e-cigarettes               television, and print advertising; (2)
                                                and marketing data for particular brands                helped with smoking cessation. Three                  Web site, digital, and social media
                                                or companies that is not already public.                individuals called for regulation of e-               marketing; (3) product placement; (4)
                                                Thus, the Commission’s report on the                    cigarettes, which FDA’s recent issuance               endorsements, including celebrity
                                                data collection will provide aggregated                 of its Deeming Regulation accomplishes.               endorsements; (5) sponsorship of
                                                rather than brand-specific data.                        One individual stated that e-cigarettes               concerts and other events and as well as
                                                  Commenters also recommended that                      should not be available to persons under              of sports teams or individual athletes
                                                the Commission seek more detailed                       the age of 18. FDA’s Deeming                          such as racing car drivers; (6)
                                                differentiation of certain marketing                    Regulation prohibits the sale (both in-               distribution of free samples; and (7)
                                                expenditure data. The Joint Public                      person and online) of e-cigarettes and                price promotions, including couponing
                                                Health Comment recommended that the                     other tobacco products to persons under               programs. These expenditure categories
                                                Commission obtain data concerning the                   the age of 18.33 One individual                       generally track those used by the FTC in
                                                demographic composition of social                       commented that e-cigarette                            its data collections for cigarettes and
                                                media networks. The UCSF comment                        advertisements seem to be targeted to                 smokeless tobacco products, with two
                                                suggested collecting data regarding the                 youth. One individual commented that                  exceptions. First, the proposed
                                                amounts spent for different population                  the FTC should consider that a                        information requests will seek data
                                                subgroups, specific information                         substantial portion of the e-cigarette                concerning television and radio
                                                concerning the time when marketing                      market is for cannabis e-cigarette                    expenditures, since e-cigarette
                                                activities occurred, and requiring each                 products rather than tobacco. Finally,                advertising is not subject to statutory
                                                responding company to identify its top                  one commenter asked the FTC to keep                   broadcast media prohibitions. In
                                                three outlets and top three marketing                   public health at the forefront of its                 addition, the media categories have
                                                programs within each media category.                    decision-making.                                      been updated to provide more
                                                The added detail would significantly                                                                          differentiation among online and digital
                                                increase the complexity and burden of                   III. Information Requests to the                      advertising media.
                                                responding to the information requests.                 E-Cigarette Industry                                     The proposed information requests
                                                In addition, as indicated above, the                                                                          also will include information about
                                                                                                           The Commission proposes to send
                                                Commission cannot publicly identify                                                                           company policies pertaining to age-
                                                                                                        information requests to the ultimate
                                                sales and marketing data on particular                                                                        screening mechanisms to prevent youth
                                                                                                        U.S. parent entities of up to 15 e-
                                                brands or companies and, thus, would                                                                          from being exposed to e-cigarette
                                                                                                        cigarette marketers in the United States.
                                                not be able to include the specific data                                                                      advertising and promotion or from
                                                                                                        These companies will vary in size, the
                                                in its report. Thus, the Commission will                                                                      obtaining free samples of e-cigarettes.
                                                                                                        number of products sold, and in the
                                                not seek to include these data in the
                                                proposed information requests.                          extent and variety of their advertising               IV. Burden Estimates and
                                                  The Georgia State comment                             and marketing activities, and will                    Confidentiality
                                                recommended that the Commission                         include the largest marketers of e-
                                                                                                        cigarettes. As noted above, based on                  A. Estimated Hours Burden: 11,250
                                                collect data on e-cigarette device                                                                            Hours
                                                specifications and capabilities. The                    available market data, the Commission
                                                comment indicated that this information                 estimates its sample will account for                   FTC staff’s estimate of the hours
                                                would permit assessment of product                      more than 80 percent of the                           burden is based on the time that would
                                                differences concerning characteristics                  conventional retail market and a sizable              be required to respond to the
                                                such as nicotine delivery, patterns of                  portion of the online market.                         Commission’s information requests. The
                                                use, and puff topography. Collection of                    The proposed information requests                  FTC currently anticipates sending
                                                these data, however, is beyond the                      will seek sales data about the types and              information requests to as many as 15 e-
                                                scope of the information requests’                      variety of e-cigarette products sold. The             cigarette companies each year. Because
                                                purpose.                                                sales information will be reported under              the Commission anticipates that these
                                                  Fontem’s comment recommended that                     three broad categories: (1) Non-refillable            companies will vary in size, in the
                                                the Commission review e-cigarettes as                   (i.e., disposable) products; (2) refillable           number of products they sell, and in the
                                                smoking cessation devices and that it                   closed systems (i.e., rechargeable and                extent and variety of their advertising
                                                expand the information requests in                      pre-filled cartridge products); and (3)               and promotion, and given the currently
                                                order to collect data on other smoking                  refillable open systems (i.e., ‘‘tank’’               evolving nature of the e-cigarette
                                                cessation products, such as nicotine                    systems). Within these three categories,              industry, FTC staff has not calculated
                                                patches. This suggestion is beyond the                  companies will report data                            separate burden estimates for large and
                                                scope of the proposed information                       differentiated by the strength of nicotine            small companies, as is traditionally the
                                                collection, which concerns sales and                    content and three categories of flavors:              case for the Commission’s cigarette and
                                                marketing data for e-cigarette products,                                                                      smokeless tobacco information requests.
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                                                                                                        Tobacco, menthol/mint, and other. Data
                                                not products intended to treat nicotine                 will be reported separately for sales and             For example, an e-cigarette marketer
                                                addiction, which is the intended use for                give-aways. The information requests                  with a large volume of sales but a
                                                smoking cessation products. Whether                     will collect data for both unit sales as              relatively small product line could
                                                any product is approved for use as a                    well as by net sales revenues. Data on                potentially require fewer resources to
                                                smoking cessation product is a question                                                                       respond to the Commission’s
                                                within the jurisdiction of FDA, not the                   33 90 FR at 28974 at 29103; 21 CFR 1140.14. This    information request than a marketer
                                                FTC.                                                    provision took effect on August 8, 2016.              with lower overall sales but a


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                                                76356                    Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices

                                                substantially larger product line that                  costs for 15 information requests is                  V. Instructions for Submitting
                                                offers consumers a greater range of                     $450,000 (4,500 hours × $100 per hour)                Comments
                                                flavor and nicotine options. Rather than                for the first year and $337,000 for the                  You can file a comment online or on
                                                account for each potential permutation                  two subsequent years (3,375 hours ×                   paper. For the Commission to consider
                                                of factors, FTC staff has calculated a per              $100 per hour × 2), for a total of                    your comment, we must receive it on or
                                                company average at the upper limit of                   $1,125,000 over the entire three-year                 before December 2, 2016. Write
                                                this potential range. Some companies                    period. The annualized labor cost per                 ‘‘Electronic Cigarettes: Paperwork
                                                likely will require less time to compile                respondent will average approximately                 Comment, FTC File No. P114504’’ on
                                                their responses.                                        $25,000.                                              your comment. Your comment—
                                                   The Commission anticipates that even
                                                                                                          Staff believes that the capital or other            including your name and your state—
                                                if it provides models for the Excel
                                                                                                        non-labor costs associated with the                   will be placed on the public record of
                                                datafiles the companies will be required
                                                                                                        information requests are minimal.                     this proceeding, including to the extent
                                                to submit, recipients of its information
                                                                                                        Although the information requests may                 practicable, on the public Commission
                                                requests will need substantial time to
                                                prepare a response the first time. Once                 necessitate that industry members                     Web site, at http://www.ftc.gov/os/
                                                an e-cigarette marketer has prepared its                maintain the requested information                    publiccomments.shtm. As a matter of
                                                first response to a Commission                          provided to the Commission, they                      discretion, the Commission tries to
                                                information request, however, it will                   should already have in place the means                remove individuals’ home contact
                                                need less time in subsequent years to                   to compile and maintain business                      information from comments before
                                                prepare its reports because it will know                records.                                              placing them on the Commission Web
                                                what information it will be required to                                                                       site.
                                                                                                        C. Confidentiality                                       Because your comment will be made
                                                produce, and will already have a
                                                template for its submission.                                                                                  public, you are solely responsible for
                                                                                                           Section 6(f) of the FTC Act, 15 U.S.C.
                                                   Accordingly, as an approximation,                                                                          making sure that your comment does
                                                                                                        46(f), bars the Commission from
                                                FTC staff assumes a per company                                                                               not include any sensitive personal
                                                                                                        publicly disclosing trade secrets or
                                                average of 300 hours for each recipient                                                                       information, like anyone’s Social
                                                                                                        confidential commercial or financial
                                                of the Commission’s information                                                                               Security number, date of birth, driver’s
                                                                                                        information it receives from persons
                                                requests the first year they have to                                                                          license number or other state
                                                                                                        pursuant to, among other methods,
                                                comply with the Commission’s                                                                                  identification number or foreign country
                                                                                                        special orders authorized by Section
                                                information request. Staff anticipates                                                                        equivalent, passport number, financial
                                                                                                        6(b) of the FTC Act. Such information
                                                that in subsequent years, the per                                                                             account number, or credit or debit card
                                                                                                        also would be exempt from disclosure                  number. You are also solely responsible
                                                company average will be 225 hours.                      under the Freedom of Information Act,
                                                Thus, the overall estimated burden for                                                                        for making sure that your comment does
                                                                                                        5 U.S.C. 552(b)(4). Moreover, under                   not include any sensitive health
                                                15 recipients of the information requests               Section 21(c) of the FTC Act, 15 U.S.C.
                                                is 4,500 hours for the first year and                                                                         information, like medical records or
                                                                                                        57b–2(c), a submitter who designates a                other individually identifiable health
                                                3,375 hours for each of the two                         submission as confidential is entitled to
                                                subsequent years, or a total of 11,250                                                                        information. In addition, do not include
                                                                                                        ten days’ advance notice of any                       any ‘‘[t]rade secret or any commercial or
                                                hours. Thus, the average yearly burden,                 anticipated public disclosure by the
                                                over the course of a prospective three-                                                                       financial information which is . . .
                                                                                                        Commission, assuming that the                         privileged or confidential’’ as provided
                                                year clearance, is 3,750 hours, or 250                  Commission has determined that the
                                                hours per recipient (large and small).                                                                        in Section 6(f) of the FTC Act 15 U.S.C.
                                                                                                        information does not constitute Section               46(f), and FTC Rule 4.10(a)(2), 16 CFR
                                                These estimates include any time spent                  6(f) material. Although materials
                                                by separately incorporated subsidiaries                                                                       4.10(a)(2). In particular, do not include
                                                                                                        covered under one or more of these                    competitively sensitive information
                                                and other entities affiliated with the                  various sections are protected by
                                                ultimate parent company that has                                                                              such as costs, sales statistics,
                                                                                                        stringent confidentiality constraints, the            inventories, formulas, patterns, devices,
                                                received the information request.
                                                                                                        FTC Act and the Commission’s rules                    manufacturing processes, or customer
                                                B. Estimated Cost Burden: $1,125,000                    authorize disclosure in limited                       names.
                                                   Commission staff cannot calculate                    circumstances (e.g., official requests by                If you want the Commission to give
                                                with precision the labor costs associated               Congress, requests from other agencies                your comment confidential treatment,
                                                with these data requests, as they entail                for law enforcement purposes, and                     you must file it in paper form, with a
                                                varying compensation levels of                          administrative or judicial proceedings).              request for confidential treatment, and
                                                management and/or support staff among                   Even in those limited contexts,                       you have to follow the procedure
                                                companies of different sizes. FTC staff                 however, the Commission’s rules may                   explained in FTC Rule 4.9(c).34 Your
                                                assumes that computer analysts and                      afford protections to the submitter, such             comment will be kept confidential only
                                                other non-legal staff will perform most                 as advance notice to seek a protective                if the FTC General Counsel grants your
                                                of the work involved in responding to                   order in litigation. See 15 U.S.C. 57b–2;             request in accordance with the law and
                                                the information requests, although legal                16 CFR 4.9–4.11.                                      the public interest.
                                                personnel will likely be involved in                       Finally, the information presented in                 Postal mail addressed to the
                                                reviewing the actual submission to the                  the report will not reveal company-                   Commission is subject to delay due to
                                                Commission. FTC staff believes that the                 specific data, except data that are                   heightened security screening. As a
                                                same $100 per hour wage that it used in                 public. See 15 U.S.C. 57b–2(d)(1)(B).
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                                                                                                                                                              result, we encourage you to submit your
                                                its recent request for reauthorization of               Rather, the Commission anticipates                    comments online. To make sure that the
                                                information requests to the major                       providing information on an anonymous
                                                cigarette and smokeless tobacco                         or aggregated basis, in a manner                        34 In particular, the written request for

                                                manufacturers is appropriate here also                  sufficient to protect individual                      confidential treatment that accompanies the
                                                                                                                                                              comment must include the factual and legal basis
                                                for the combined efforts of these                       companies’ confidential information, to               for the request, and must identify the specific
                                                individuals. Using this figure, FTC                     provide a factual summary of e-cigarette              portions of the comment to be withheld from the
                                                staff’s best estimate for the total labor               industry marketing activities and sales.              public record. See FTC Rule 4.9(c), 16 CFR 4.9(c).



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                                                                         Federal Register / Vol. 81, No. 212 / Wednesday, November 2, 2016 / Notices                                            76357

                                                Commission considers your online                        DEPARTMENT OF DEFENSE                                 check www.regulations.gov,
                                                comment, you must file it at https://                                                                         approximately two to three days after
                                                ftcpublic.commentworks.com/ftc/                         GENERAL SERVICES                                      submission to verify posting (except
                                                electroniccigarettespra2, by following                  ADMINISTRATION                                        allow 30 days for posting of comments
                                                the instructions on the web-based form.                                                                       submitted by mail).
                                                When this Notice appears at http://                     NATIONAL AERONAUTICS AND
                                                                                                                                                              FOR FURTHER INFORMATION CONTACT:  Ms.
                                                www.regulations.gov/#!home, you also                    SPACE ADMINISTRATION
                                                                                                                                                              Cecelia L. Davis, Procurement Analyst,
                                                may file a comment through that Web                     [OMB Control No. 9000–0161; Docket 2016–              at 202–219–0202 or via email at
                                                site.                                                   0053; Sequence 37]                                    cecelia.davis@gsa.gov.
                                                   If you file your comment on paper,                   Information Collection; Reporting                     SUPPLEMENTARY INFORMATION:
                                                write ‘‘Electronic Cigarettes: Paperwork                Purchases From Sources Outside the
                                                Comment, FTC File No. P114504’’ on                                                                            A. Purpose
                                                                                                        United States
                                                your comment and on the envelope.                                                                                The information on place of
                                                You can mail your comment to the                        AGENCY:  Department of Defense (DOD),                 manufacture was formerly used by each
                                                following address: Federal Trade                        General Services Administration (GSA),                Federal agency to prepare a report to
                                                Commission, Office of the Secretary,                    and National Aeronautics and Space                    Congress required by 41 U.S.C.
                                                600 Pennsylvania Avenue NW., Suite                      Administration (NASA).                                8302(b)(1) for FY 2009 through 2011 on
                                                CC–5610 (Annex J), Washington, DC                       ACTION: Notice of request for public                  acquisitions of articles, materials, or
                                                20580, or deliver your comment to the                   comments regarding an extension to an                 supplies that are manufactured outside
                                                following address: Federal Trade                        existing OMB clearance.                               the United States. However, the data is
                                                Commission, Office of the Secretary,                    SUMMARY:    Under the provisions of the               still necessary for analysis of the
                                                Constitution Center, 400 7th Street SW.,                Paperwork Reduction Act, the                          application of the Buy American statue
                                                5th Floor, Suite 5610 (Annex J),                        Regulatory Secretariat Division will be               and the trade agreements and for other
                                                Washington, DC 20024.                                   submitting to the Office of Management                reports to Congress. Additionally,
                                                                                                        and Budget (OMB) a request to review                  contracting officers require this data as
                                                   The FTC Act and other laws that the                                                                        the basis for entry into the Federal
                                                Commission administers permit the                       and approve an extension of a currently
                                                                                                        approved information collection                       Procurement Data System for further
                                                collection of public comments to                                                                              data on the rationale for purchasing
                                                consider and use in this proceeding as                  requirement concerning reporting
                                                                                                        purchases from sources outside the                    foreign manufactured items.
                                                appropriate. The Commission will
                                                consider all timely and responsive                      United States.                                        B. Annual Reporting Burden
                                                public comments that it receives on or                  DATES: Submit comments on or before
                                                                                                        January 3, 2017.                                        Number of respondents: 482,150.
                                                before December 2, 2016. For                                                                                    Responses per respondent: 10.
                                                information on the Commission’s                         ADDRESSES: Submit comments
                                                                                                        identified by Information Collection                    Total annual responses: 1,483,592.
                                                privacy policy, including routine uses
                                                permitted by the Privacy Act, see http://               9000–0161, Reporting Purchases from                     Hours per response: 0.01.
                                                www.ftc.gov/ftc/privacy.htm.                            Sources Outside the United States, by                   Total response burden hours: 14,836.
                                                                                                        any of the following methods:
                                                   Comments on the information                             • Regulations.gov: http://                         C. Public Comments
                                                collection requirements subject to                      www.regulations.gov.                                    Public comments are particularly
                                                review under the PRA should                                Submit comments via the Federal
                                                                                                                                                              invited on: Whether this collection of
                                                additionally be submitted to OMB. If                    eRulemaking portal by searching for
                                                                                                                                                              information is necessary for the proper
                                                sent by U.S. mail, they should be                       ‘‘9000–0161; Reporting of Purchases
                                                                                                                                                              performance of functions of the FAR,
                                                addressed to Office of Information and                  from Outside the United States’’. Select
                                                                                                                                                              and whether it will have practical
                                                Regulatory Affairs, Office of                           the link ‘‘Submit a Comment’’ that
                                                                                                                                                              utility; whether our estimate of the
                                                Management and Budget, Attention:                       corresponds with ‘‘9000–0161;
                                                                                                                                                              public burden of this collection of
                                                Desk Officer for the Federal Trade                      Reporting of Purchases from Outside the
                                                                                                                                                              information is accurate, and based on
                                                Commission, New Executive Office                        United States’’. Follow the instructions
                                                                                                                                                              valid assumptions and methodology;
                                                Building, Docket Library, Room 10102,                   provided at the ‘‘Submit a Comment’’
                                                                                                                                                              ways to enhance the quality, utility, and
                                                725 17th Street NW., Washington, DC                     screen. Please include your name,
                                                                                                                                                              clarity of the information to be
                                                20503. Comments sent to OMB by U.S.                     company name (if any), and 9000–0161;
                                                                                                                                                              collected; and ways in which we can
                                                postal mail, however, are subject to                    Reporting of Purchases from Outside the
                                                                                                                                                              minimize the burden of the collection of
                                                                                                        United States’’ on your attached
                                                delays due to heightened security                                                                             information on those who are to
                                                                                                        document.
                                                precautions. Thus, comments instead                                                                           respond, through the use of appropriate
                                                                                                           • Mail: General Services
                                                should be sent by facsimile to (202)                                                                          technological collection techniques or
                                                                                                        Administration, Regulatory Secretariat
                                                395–5806.                                                                                                     other forms of information technology.
                                                                                                        Division (MVCB), 1800 F Street NW.,
                                                                                                        Washington, DC 20405. ATTN: Ms.                         Obtaining Copies of Proposals:
                                                David C. Shonka,
                                                                                                        Flowers/IC 9000–0161.                                 Requesters may obtain a copy of the
                                                Acting General Counsel.                                                                                       information collection documents from
                                                                                                           Instructions: Please submit comments
                                                [FR Doc. 2016–26486 Filed 11–1–16; 8:45 am]                                                                   the General Services Administration,
                                                                                                        only and cite IC 9000–0161, in all
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                                                BILLING CODE 6750–01–P                                  correspondence related to this case.                  Regulatory Secretariat Division (MVCB),
                                                                                                        Comments received generally will be                   1800 F Street NW., Washington, DC
                                                                                                        posted without change to http://                      20405, telephone 202–501–4755.
                                                                                                        www.regulations.gov, including any                      Please cite OMB Control Number
                                                                                                        personal and/or business confidential                 9000–0161, Reporting Purchases from
                                                                                                        information provided. To confirm                      Sources Outside the United States, in all
                                                                                                        receipt of your comment(s), please                    correspondence.


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Document Created: 2016-11-02 01:40:58
Document Modified: 2016-11-02 01:40:58
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice.
DatesComments on the proposed information requests must be received on or before December 2, 2016.
ContactRequests for additional information
FR Citation81 FR 76348 

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