Supplement to Supporting Statment (Response to OIRA)

Food Industry Marketing Supplement to SS_2007.pdf

FTC Study of Food Marketing to Children and Adolescents

Supplement to Supporting Statment (Response to OIRA)

OMB: 3084-0139

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Supplemental Supporting Statement for a Paperwork Reduction Act
Submission to OMB
FTC Study of Food Marketing to Children and Adolescents
Pursuant to the Conference Report for its 2006 appropriation legislation (“2006
Conference Report”),1 the Federal Trade Commission (“FTC” or “Commission”) has proposed to
undertake a study of food marketing to children and adolescents. This proposed information
collection is very similar in content and methodology to studies the Commission has undertaken
with respect to advertising for alcoholic beverages and tobacco products.2 Nevertheless, the
Office of Management and Budget (“OMB”) staff has expressed reservations about the practical
utility of the proposed information collection under the Paperwork Reduction Act, 44 U.S.C.
3501-3520 (“PRA”). For the reasons discussed in this supplemental supporting statement, FTC
staff believes the proposed study will have practical utility and should go forward.
In general, the proposed information collection will advance the Commission’s efforts to
understand how food industry promotional dollars targeted to children and adolescents are
allocated, the types of activities and marketing techniques the food industry uses to market its
products to children and adolescents, and the extent to which current and planned future selfregulatory efforts address the full variety of child- and adolescent-directed marketing practices
utilized by industry. By increasing its knowledge in these areas, the FTC will be able to:
1) promote and encourage industry self-regulatory initiatives3 regarding food marketing
directed to children and adolescents, and establish a baseline by which to measure the
future success of such efforts;
2) identify potential policy questions related to emerging media and marketing techniques
that the FTC may study further in the future, such as by holding additional public
workshops;

1

H.R. Rep. No. 109-272 (2005), citing S. Rep. No. 109-88 (2005) at 108.

2

OMB approval was received in December 2006 for the FTC’s Study on Alcohol
Industry Self-Regulation (OMB Control Number 3084-0138). OMB approval was received in
January 2006 for the FTC’s most recent Cigarette and Smokeless Tobacco Data Collection
(OMB Control Number 3084-0134).
3

Self regulation has played a vital role in the advertising industry in the U.S. as a
means of moderating industry conduct to improve marketplace behavior for the benefit of
consumers. For example, the work of both the National Advertising Division/National
Advertising Review Council of the Council of Better Business Bureaus and the Electronic
Retailing Self-Regulation Program has been very important to the U.S. marketplace and to the
FTC’s work to eliminate deceptive marketing.
Dated: July 2007

3) identify new communication techniques and strategies to enable the FTC and others to
produce effective consumer education materials and develop media literacy campaigns
targeted to children and adolescents, as well as their parents.
Background for the Study. Although the FTC is primarily a law enforcement agency,
Congress also has endowed the Commission with wide-ranging authority to investigate and
report to Congress and the public on industry practices that affect the economic well-being of
consumers.4 In 2006, for example, the Commission issued a report on its investigation of price
manipulation and price increases in the wake of Hurricane Katrina,5 and in 2005, it released a
report examining the factors that affect gasoline prices in the United States.6 Both of these
reports provided consumers with a clear view of how gasoline markets operate, and stressed the
role of prices in equating supply and demand in times of shortage. Furthermore, last month the
Commission released a report on broadband connectivity. 7 This report summarizes some of the
competition issues surrounding broadband connectivity, with a particular focus on “network
neutrality” regulation, and suggests guiding principles for policy makers considering regulation
of broadband Internet access.
Childhood obesity is another important public policy issue in the U.S., one with serious
public health consequences.8 Department of Health and Human Services (“HHS”) Secretary
Michael Leavitt has stated: “Obesity is one of the major health challenges facing the nation,
especially our younger generation. Without early prevention and detection, obesity can have
troubling consequences such as diabetes and heart and vascular diseases.”9

4

Specifically, Congress has authorized the FTC “to gather and compile information
concerning, and to investigate from time to time the organization, business, conduct, practices,
and management of any person, partnership, or corporation engaged in or whose business affects
commerce,” and “to make public from time to time such portions of the information obtained by
it hereunder as are in the public interest.” 15 U.S.C. §§ 46(a), (f).
5

Federal Trade Commission, Investigation of Gasoline Price Manipulation and
Post-Katrina Gas Price Increases (Spring 2006), available at
www.ftc.gov/reports/060518PublicGasolinePricesInvestigationReportFinal.pdf.
6

Federal Trade Commission, Gasoline Price Changes: The Dynamic of Supply,
Demand, and Competition (2005), available at
www.ftc.gov/reports/gasprices05/050705gaspricesrpt.pdf.
7

Federal Trade Commission, Broadband Connectivity Competition Policy (June
2007), available at www.ftc.gov/reports/broadband/v070000report.pdf.
8

Institute of Medicine, Food Marketing to Children and Youth: Threat or
Opportunity? (2006), at ES-1 (“IOM Report”).
9

“FTC, HHS Announce Workshop on Childhood Obesity,” May 11, 2005,
available at www.ftc.gov/opa/2005/05/childobese.shtm.
Dated: July 2007

2

Although a wide variety of factors undoubtedly has contributed to the childhood obesity
problem, some place the blame squarely on food marketing. While the FTC has firmly rejected
calls to ban the marketing of food to children, the agency has endeavored to play a constructive
role in the debate and in turning back the dangerous obesity trend. In July 2005, the FTC and
HHS jointly convened a two-day workshop on “Marketing, Self-Regulation, & Childhood
Obesity” (“2005 Workshop”). Participants included government officials, health experts,
consumer advocates, and representatives of the food and media industries. The purpose of the
workshop was to focus attention on the positive initiatives that the food industry and others could
take to encourage healthier eating and lifestyles, particularly among the nation’s youth. The
purpose of the workshop was not to determine whether or to what extent food marketing, or any
other single factor, has contributed to the rise in childhood obesity. The workshop produced a
series of recommendations for the food marketing industry, including suggestions for selfregulatory initiatives to address the way in which food is marketed to children.10 Industry
members and the Grocery Manufacturers Association participated in the workshop and expressed
support for addressing the problem through “meaningful, robust self-regulation of children’s
marketing.”11
An important development resulting from the 2005 Workshop was the Children’s Food
and Beverage Advertising Initiative, established by the Council of Better Business Bureaus
(“CBBB”). To date, 11 of the largest food and beverage companies – estimated to represent
more than two-thirds of children’s food and beverage ad spending on TV – have joined the
initiative, pledging to devote at least half of their advertising directed to children (on TV, radio,
and the Internet and in print) to promote healthier dietary choices or to messages that encourage
good nutrition or healthy lifestyles. The specific details of the “pledges” of these 11 companies
will be announced in the near future.
It is within this context that Congress, in the 2006 Conference Report, directed the FTC
to submit a report regarding the “marketing activities and expenditures of the food industry
targeted toward children and adolescents.”12 The 2006 Conference Report asked the Commission
to focus on both measured media13 and unmeasured media.14

10

Federal Trade Commission & Department of Health and Human Services,
Perspectives on Marketing, Self-Regulation, & Childhood Obesity (Apr. 2006).
Recommendations that came out of the workshop are listed at pp. 48-54.
11

Id. at Appendix C (Written Submission of Manly Molpus, President and CEO,
Grocery Manufacturers Association).
12

See note 1, supra.

13

Measured media include televison, radio, print, and some Internet advertising.

14

Unmeasured media include, for example, product packaging; advertising in movie
theaters, videos, or video games; in-store marketing; promotions at public events; advertising on
digital devices, such as mobile phones; product placements in television shows, movies, and
Dated: July 2007

3

While the Commission did not seek such directing language, there is a specific need for
the proposed information collection. The Institute of Medicine has noted that although research
to date has focused predominantly on television, “food and beverage marketing extends far
beyond television and is changing rapidly to include integrated marketing campaigns that extend
to new media platforms that target multiple venues simultaneously. . . . Virtually no scientific
studies are available on these other tools.”15 A more recent study by the Kaiser Family
Foundation regarding online marketing of food to children likewise notes the dearth of
information about emerging media and marketing activities in this area.16 Thus, the proposed
FTC study will be an important source of information that does not exist elsewhere.
Design of the Study. The FTC proposes to send the information request to 44 food and
beverage companies in the U.S. In most cases, the proposed recipients are companies that market
categories of food and beverage products that appear to be advertised to children and adolescents
most frequently.
To select potential recipients, staff first consulted a number of public sources – including
the IOM Report, studies of food advertising to children on TV and online, and press reports –
regarding categories of foods most often marketed to children and adolescents. Staff also
conferred with FTC economists conducting an empirical study of child and adolescent exposure
to food advertising on TV to identify categories of foods most frequently marketed to children
and adolescents on TV.17 FTC staff then consulted a variety of published sources, and purchased
relevant TV advertising exposure data from Nielsen Media Research, to determine the companies
that likely account for the majority of the marketing directed to children and adolescents for these
categories of foods. For each company identified, staff researched public sources and examined
company and product websites to determine measured and (where possible) unmeasured media
techniques used by those companies to market food products to children and adolescents. For
most of the selected food categories, the target companies constitute the top television advertisers
whose ads were viewed in programs or time segments where 30% or more of the audience is

video games; character licensing; sponsorship of athletic teams or events; and in-school
marketing.
15

IOM Report, at ES-5 and 6.

16

Elizabeth S. Moore, It’s Child’s Play: Advergaming and the Online Marketing of
Food to Children (The Henry J. Kaiser Family Foundation, July 2006) at 1.
17

The FTC’s Bureau of Economics recently released a report on children’s exposure
to television advertising, comparing data from 2004 to similar data from 1977. The study
concluded that children are not exposed to more food ads on television than they were in the past,
although their ad exposure today is more concentrated on children’s programming. Children’s
Exposure to Television Advertising in 1977 and 2004: Information for the Obesity Debate (a
Bureau of Economics Staff Report, June 1, 2007), available at
www.ftc.gov/os/2007/06/cabecolor.pdf.
Dated: July 2007

4

between the ages of 2 to 17. Moreover, for the primary products in these food categories, the
targeted companies account for the vast majority of U.S. sales, regardless of whether the products
are advertised to children or adolescents.18
Included among the 44 companies to which the FTC proposes sending the information
collection are several fruit and vegetable producers, distributers, and marketers. Traditionally,
fruit and vegetable companies have not engaged in significant marketing efforts but, in recent
years, some fruit and vegetable companies have packaged and promoted their products in ways
likely to appeal to children, such as by using licensed characters popular with children in their
product labels and displays. FTC staff has identified the particular companies engaged in such
activities and has included them in the proposed information collection. Gathering information
on these practices will enable FTC staff to compare the marketing techniques and expenditures
being used to market fruits and vegetables relative to foods that traditionally have been more
frequently marketed to children and adolescents. Also, FTC staff expects these novel efforts to
increase significantly in the future; gathering the information now is an important first step
towards charting a new trend in healthy marketing to children and adolescents.
As noted above, the FTC previously obtained approval for studies under the PRA on
advertising for tobacco products and alcoholic beverages that employed similar methodology and
studied essentially the same issues (OMB Control Numbers 3084-0134 and 3084-0138
respectively). In the alcohol study, the FTC issued orders under section 6(b) of the FTC Act to
twelve companies who were estimated to be responsible for approximately 80% of U.S. alcohol
advertising in measured media. The FTC sought advertising expenditure data in 22 measured
and unmeasured media categories, many of which closely mirror the categories proposed for the
food marketing study, and also sought information on the companies’ compliance with selfregulatory initiatives.19
Significantly, the alcohol study was intended to provide a snapshot of new marketing
techniques and self-regulatory initiatives; it was not intended to compare data from year to year.
To that end, the FTC sought, for the first time, industry expenditures to advertise and promote
beverage alcohol across a broad spectrum of measured and unmeasured media, and aimed to
assess the level of industry compliance with current self-regulatory codes. Although the FTC
undoubtedly may use this information in later years to measure changes or trends in these areas,
staff can immediately use the data to engage in a valuable and useful analysis of industry
marketing practices and self-regulation, which will allow the FTC to have more meaningful
engagement in the self-regulatory process.
The proposed study design is also similar to that of the report of the cigarette and

18

The exception is fruit and vegetable marketers, which are discussed below.

19

See 71 Fed. Reg. 62261, 62264 (Oct. 24, 2006).

Dated: July 2007

5

smokeless tobacco companies that the Commission has undertaken for many years.20 As with the
proposed study of food marketing activities and expenditures, the tobacco report has collected
and reported on marketing expenditures by the leading manufacturers in the industry and has
sought data on a wide range of measured and unmeasured media categories.21 The information is
reviewed by the Commission, aggregated, and used to publish annual reports. To the
Commission’s knowledge, much of the information published in the tobacco reports is
unavailable from any other source, and the information serves to inform the public policy debate
in the area of tobacco marketing.
Practical Utility of the Study. The proposed food marketing study has practical utility. It
will provide the FTC with accurate and reliable data that staff can use in a timely fashion with
respect to the goals set forth above: the promotion and assessment of industry self-regulatory
efforts; the identification of policy questions to be addressed with regard to emerging media and
marketing techniques; and the identification of techniques and strategies for future consumer
education and media literacy campaigns.
The information staff proposes to collect will allow the FTC to increase its knowledge on
a wide range of topics related to the marketing of food to children and adolescents. Advertising
expenditure data will allow the FTC to determine how food companies are allocating their
advertising budgets among different audience age groups, among a wide variety of media types,
and among food products in different product categories and of varying nutritional profiles. The
FTC will also collect meaningful and useful data relating to the particular marketing techniques
companies are using to promote food products to children and adolescents. Significantly, the
FTC will not only learn what techniques companies are using, but will also collect actual samples
of those activities. This will allow much greater understanding and analysis of the current media
landscape. All of this information, including both the expenditure data and the samples of actual
marketing activities, will directly advance the FTC’s planned uses for the study.
Notably, the proposed orders include specific requests for information about any
nutritional icon or other “better for you” product lines the companies may market. The Mercatus
Center at George Mason University pointed out that the utility of the collection would be
enhanced if the Commission sought information on new marketing plans that may reflect
forthcoming changes resulting from the recent CBBB initiative. Accordingly, the FTC included

20

Beginning in 1967, the FTC submitted annual reports to Congress on cigarette
sales and marketing pursuant to the Federal Cigarette Labeling and Advertising Act. 15 U.S.C.
§§ 1331-1341. Beginning in 1987, the FTC submitted biennially to Congress reports on
smokeless tobacco pursuant to the Comprehensive Smokeless Tobacco Health Education Act.
15 U.S.C. §§ 4401-4408. When these statutory mandates ended, the Commission sought public
comments on whether to continue issuing these reports. Since then, the Commission has
continued to collect and report on sales and marketing data for cigarettes and smokeless tobacco.
21

See 70 Fed. Reg. 62313 (Oct. 31, 2005).

Dated: July 2007

6

requests for information on companies’ nutritional icon programs and healthy-eating initiatives
so that the FTC can study the amount and types of marketing that companies are devoting to
these products. This information will enable the FTC to report not only on recent marketing
practices but also on planned efforts whose success the Commission and others can monitor in
the future. As with the FTC’s studies on the marketing of alcohol and tobacco products, the
information will increase the FTC’s understanding of food industry advertising issues and the
role of the industry in regulating its own advertising practices.
Finally, the proposed study is an essential step in measuring what will certainly be a
changing landscape for food marketing to children. The CBBB initiative, as well as other
industry programs, is expected to increase children’s exposure to nutritional information and
promotional messages about healthier foods and beverages. When conducting other similar
studies (e.g., the FTC’s Cigarette Report), the Commission has discovered that it is often useful
to repeat these studies over time. Thus, the Commission will likely perform a follow-up study to
ascertain the future effect of these self-regulatory programs. The information from 2006 will
provide an important baseline against which to measure progress in this area. OMB staff has
suggested that the FTC should wait three years, then collect information from 2006 and 2009 in
order to compare the two time periods. FTC staff believes that this approach would not be
feasible, however, because much of the relevant 2006 data may no longer be available at that
point, and the basis for meaningful comparison will be lost. Furthermore, the immediate benefits
of the study, discussed above, would be delayed for three years. Instead, this initial information
collection will provide helpful guidance to industry members as to how to keep records on
marketing to children and adolescents so that any future information collection may be
substantially less burdensome.
Public Support for the Study. The comments received by the Commission in response to
two Federal Register notices22 demonstrated overwhelming support for the proposed study. In
the final round of comments, after having an opportunity to review the proposed section 6(b)
order, none of the commenting parties, including the Grocery Manufacturers Association/Food
Products Association (“GMA/FPA”), voiced concern for the utility of the study or requested that
it not be undertaken. In fact, GMA/FPA stated that its “members are committed to assisting the
Commission in this effort and believes there will be substantial value for all concerned in the
Commission’s final report.”23 GMA/FPA also offered a few suggestions for refining the
methodology which FTC staff took into consideration when drafting the amended proposed
section 6(b) order, submitted to OMB on June 15, 2007.
The FTC also received supporting comments from a state government agency, a national
professional organization, and numerous consumer advocacy groups. The California Department

22

See 71 Fed. Reg. 62109 (Oct. 23, 2006); 72 Fed. Reg. 19505 (Apr. 18, 2007).

23

GMA/FPA Comment at 1 (May 18, 2007), available at
www.ftc.gov/os/comments/foodmktgtokidspra-3/529477-00013.pdf.
Dated: July 2007

7

of Health Services (“CDHS”) noted that the FTC’s report would make youth-focused food
industry marketing practices transparent and guide CDHS’s own program planning, intervention
and evaluation, and counter-advertising. The American Medical Association (“AMA”)
concluded that the collection of comprehensive data would allow the FTC to provide an essential
external review of the adequacy and efficacy of self-regulatory initiatives. Organizations
including Consumers Union and Center for Science in the Public Interest similarly noted that the
information collected will provide a vital benchmark for evaluating the self-regulatory model in
the future, and remarked that information on the types of food, media used, and amount spent by
companies to market foods to children has not been publicly available. Many parties24 supported
the collection of information on unmeasured, as well as measured, media activities, noting that
such information would provide the FTC with a full picture of the techniques being used to
market food to children and enable the FTC to track whether self-regulatory programs were being
fully implemented across all media.
FTC staff has carefully crafted its information requests so as to collect information that
may be used in a reasonable, practicable, workable, and reliable way. The FTC’s amended
proposed section 6(b) order submitted on June 15 fully addresses concerns raised by commenting
parties, including GMA/FPA, regarding the structure of the FTC’s initial proposed order,
submitted on April 18. For example, GMA/FPA questioned whether companies would be able to
determine the audience composition for many unmeasured media categories (such as the
percentage of audience members at a public event that were children or adolescents), and
whether this would prevent the companies from being able to determine if activities were
targeted to children or adolescents under the FTC’s criteria.25 In such cases, GMA/FPA was
concerned the companies might be forced to answer “unknown” or “not available” in response to
the FTC’s specifications.
The FTC’s amended proposed order includes significant revisions to the advertising and
promotional category definitions, as well as the criteria for each category for determining
whether a particular activity was targeted to children or adolescents. Staff enhanced the
objectivity of all targeting criteria and clarified the particular targeting criteria that the companies
should apply in each measured and unmeasured media category. By doing so, staff ensured that
the nature of the various companies’ responses would be uniform. Staff believes it should now
receive few, if any, “unknown” responses to its requests for unmeasured media information. For
example, the criteria for determining whether a public event was “targeted” to children or

24

Parties who supported the collection of information on unmeasured media
expenditures and activities included: CDHS; the AMA; Consumers Union; the Public Health
Institute; the Children’s Media Policy Coalition of the Georgetown University Law Center
Institute for Public Representation; Campaign for a Commercial-Free Childhood; Center for
Digital Democracy; the Rudd Center for Food Policy and Obesity; and an individual consumer (a
nutrition educator).
25

GMA/FPA Comment at 12-13 (May 18, 2007).

Dated: July 2007

8

adolescents now include audience share data only to the extent the company is already in
possession of such data; if the company lacks audience share data it will make a determination
based on other enumerated, objective factors. FTC staff expects that for many unmeasured
media activities, such as public events, companies will determine whether the activity was
targeted to children or adolescents by reviewing their marketing plans.
In conclusion, Congress, the public, and the Commission believe this study will yield
useful information not available elsewhere to inform the public policy debate over food
marketing directed to children and adolescents. The FTC believes it will collect accurate and
reliable information in response to the section 6(b) orders, and in a timely fashion will be able to
put the information to a number of practical uses in support of the FTC’s functions.

Dated: July 2007

9


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