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On 23 September 2020, the European Commissions’ Scientific Committee on Health, Environmental and Emerging Risks (SCHEER) provided its Preliminary Opinion on Electronic Cigarettes [...]. This opinion is important because it is one input to the report on the implementation of the EU Tobacco Products Directive 2014/40/EC, under Article 28 of the Directive. This review should complete by 20 May 2021, and it may form the basis for a further revision of the Tobacco Products Directive. In this post, I discuss why the SCHEER preliminary opinion offers no useful analysis or relevant insights to policymakers.