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Alcohol Advertising

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Title: Alcohol Advertising


1
Alcohol Advertising
  • Targeting Youth and Minorities

2
Huge sums are spent annually on advertising
  • According to the FTC, in 2001 1.57 billion was
    spent on alcohol advertising in measured media
  • television
  • radio
  • print
  • outdoor advertising
  • FTC estimated in 1999 that alcohol industry
    spends two to three times this amount each year
    to promote products through
  • sponsorship
  • internet advertising
  • point-of-sale materials
  • product placement
  • brand-logod items
  • means that alcohol industry spent about 5
    billion on advertising and promotion in 2001

3
Alcohol advertising appeals to underage youth
  • 1996 study of children ages nine to eleven found
    that children were more familiar with Budweisers
    television frogs than Kelloggs Tony the Tiger,
    the Mighty Morphin Power Rangers, or Smokey the
    Bear
  • 1998 the Budweiser lizard commercials were the
    most popular commercials on television
  • since 1995 Budweiser beer ads have been the most
    popular ads for consumers, including teenagers
  • junior high students can name more beer brands
    than presidents
  • younger children can sing the jingles and mimic
    the characters in alcohol commercials

4
Alcohol advertising and marketing have a
significant impact on youth decisions to drink
  • study of 12 year-olds found that children who
    were more aware of beer advertising held more
    favorable views on drinking and expressed an
    intention to drink more often as adults than did
    children who were less knowledgeable about the
    ads
  • study of 1,000 young people found that exposure
    to and liking of alcohol advertisements affects
    whether young people will drink alcohol
  • USA Today survey found that teens say ads have a
    greater influence on their desire to drink in
    general than on their desire to buy a particular
    brand of alcohol
  • eighty percent of general public respondents in a
    poll by the Bureau of Alcohol, Tobacco and
    Firearms believed that alcohol advertising
    influences youth to drink alcoholic beverages

5
Industry has adopted voluntary codes of conduct
through its three trade associations
  • Beer Institute--represents the interests of more
    than 200 brewers that produce more than 90
    percent of the beer brewed in the U.S.
  • Distilled Spirits Council of the United States
    (DISCUS)--represents most of the major U.S.
    distilled spirits
  • Wine Institute--represents over 300 California
    vintners members market over 75 of wine sold in
    the United States

6
1999 FTC Report on the success of self-regulation
  • obtained information from the three associations
    and eight alcoholic beverage companies
  • Anheuser-Busch, Inc. Bacardi-Martini USA, Inc.
    Brown-Forman Corporation Coors Brewing Company,
    Inc. Diageo plc Miller Brewing Company, Inc.
    Stroh Brewery Company, Inc. and Joseph E.
    Seagram Sons, Inc.
  • focused on three areas
  • advertising placement
  • advertising content
  • product placement

7
1. Advertising placement
  • voluntary industry codes required that
  • more than 50 percent of the audience for alcohol
    advertising be over 21
  • FTC report reflected mixed compliance with the
    codes' requirement
  • half of the companies were able to show that
    nearly all of their ads were shown to a majority
    legal-age audience
  • other four companies did not fare as well
  • two companies' data showed weeks when many ads
    were shown to majority underage audiences.
  • two others failed to provide reliable information
    showing the audience for their ads

8
  • report also pointed out that only 30 percent of
    the U.S. population is under the age of 21, and
    only 10 percent age 11 to 17
  • thus "the 50 percent standard...permits placement
    of ads on programs where the underage population
    far exceeds its representation in the population
  • report recommended that the industry raise the
    standard to no more than 25 of the audience be
    under 21

9
  • other organizations weighed in on the issue as
    well
  • Mothers Against Drunk Driving (MADD) proposes a
    limit of 10
  • Center on Alcohol Marketing and Youth (CAMY)
    suggests 15.8
  • corresponds with the percentage of the population
    aged 12-20

10
2. Advertising content
  • voluntary codes prohibit alcohol advertisers from
    using advertising content that is more appealing
    to underage consumers than to adults (including
    21-year olds)
  • each of the three codes also expressly prohibits
    the use of certain characters or people in
    alcohol ads
  • actors under 25 (beer)
  • children (spirits)
  • Santa Claus (beer and spirits)
  • sports celebrities or "current or traditional
    heroes of the young" (wine)

11
  • 1999 FTC report noted that industry members
    appear to make significant efforts to comply with
    the codes' standards, instructing their staffs
    and ad agencies to avoid content with greater
    appeal to kids than to adults
  • report also notes that since standard permits ads
    targeted at 21-year olds, might have "overflow"
    appeal to younger consumers
  • report identifies best practices that some
    companies follow that reduce the likelihood that
    an ad will have substantial appeal to underage
    consumers
  • e.g., targeting ads to persons 25 and older

12
3. Product Placement
  • FTC Report noted that in 1997-98 the eight
    reporting companies placed products in
  • 233 motion pictures
  • one or more episodes of 181 different television
    series
  • alcohol placement occurred
  • in 'PG' and 'PG-13' films with significant appeal
    to teens and children
  • in films where the advertiser knew that the
    primary target market included a sizable underage
    market
  • on eight of the 15 television shows most popular
    with teens
  • report noted that a few companies had taken steps
    to reduce the likelihood that a substantial
    underage audience would see their products
    promoted in movies and on television

13
The 2003 FTC Update
  • In March, 2003 Congress directed the FTC to
  • determine whether the industry had adopted
    recommendations regarding self-regulation from
    the 1999 report
  • study the impact of the expansion of ads for new
    flavored malt beverages
  • FTC issued its report in September 2003
  • FTC report noted that youth drinking remained
    high in 2002
  • one-fifth of eighth graders
  • one-third of 10th graders
  • half of 12th graders

14
1. Flavored Malt Beverages (FMBs)
  • FMBs (a/k/a alcopops), introduced in the late
    1990's, combine characteristics of beer and
    distilled spirits
  • As new products, receive a larger share of
    advertising dollars than other beer products
  • 2 of total beer advertising in 1998
  • 17 of total beer advertising in 2002

15
  • In 2001, Center for Science in the Public
    Interest (CSPI) had asked FTC to investigate
    whether FMBs were being targeted to minors
  • The FTC reviewed whether
  • FMBs were being placed among non-alcoholic
    beverages in retail outlets
  • advertising was targeted to an underage audience
  • survey evidence showed that teens were more
    likely than adults to be aware of and use the
    products

16
  • FTC found no evidence supporting the first two
    allegations by CSPI and that the survey
    methodology used to determine the third was
    flawed
  • In its 2003 investigation, FTC reviewed the
    following aspects of FMB marketing
  • ad placement
  • ad content
  • effect of marketing on minors

17
a. Advertising placement
  • FTC investigation found that
  • over 99 of dollars spent to advertise FMBs on
    television, radio and print complied with the
    "50 over 21" standard
  • but ads were still placed in venues with
    substantial underage audience composition
  • to minimize this possibility, five companies
    maintained lists of programs on which they would
    not place ads instructed buyers not to place ads
    on
  • MTV or UPN
  • wrestling or extreme sports shows
  • teen oriented shows such as Malcolm in the
    Middle, Gilmore Girls, Boston Public, Grounded
    for Life, Celebrity Death Match, Dawson's Creek,
    Heaven and Popular (among others)
  • another company set a 70 over 21 standard
  • two companies did not advertise in print or
    broadcast media

18
b. Advertising content
  • FTC subpoenaed planning and other documents that
    reflected the industry's marketing strategy
  • concluded that the intended target market for
    FMBs was consumers in the 21-27 or 29 year old
    age group
  • In fact, the majority of FMB drinkers were over
    27

19
c. Effect of marketing on minors
  • FTC was concerned that the sweet taste of FMBs
    would appeal to minors and that advertising aimed
    at those over 21 would have a greater "spillover"
    effect than for other alcoholic beverages
  • evidence collected by the FTC did not provide
    information about the impact on minors of
    expanded marketing for FMBs
  • however, FTC noted that teen drinking actually
    dropped between 2000 and 2002, the period during
    which advertising for FMBs increased

20
2. The Status of Advertising Self-Regulation
  • FTC examined the extent to which the industry had
    implemented recommendations in the 1999 report

21
a. Third-Party Review
  • 1999 Report suggested that self-regulation is
    most effective when internal mechanisms are
    supplemented by third-party review
  • FTC found that only "modest steps" had been taken
    to adopt such systems
  • as an example of a successful third-party review,
    FTC cited Coors Brewing Company's agreement to
    adopt BBB's Advertising Pledge Program

22
BBB Advertising Pledge Program
  • upon receipt of a complaint, BBB determines
    whether an advertising campaign violates the
    company's voluntary advertising pledge
  • if BBB decides the pledge has been violated, may
    recommend that the campaign be modified or
    discontinued

23
  • May, 2003 BBB considered a complaint concerning a
    Coors ad showing an outdoor party at a ski resort
  • complaint alleged that
  • the ad appeals to snowboarders
  • partygoers would be leaving the party in cars
  • complaint asserted that the ad violated a Coors
    advertising pledge standard
  • We will not portray or encourage high-risk
    activities by anybody who is drinking or has been
    drinking

24
  • The BBB found that
  • pledge defines high risk activities as those that
    require high degree of alertness or coordination,
    e.g.
  • the operation of motor vehicles
  • boating and other water sports
  • operation of equipment or machinery
  • skiing, climbing, or contact sports
  • ad does portray some persons acting in an
    uninhibited manner
  • nothing in the commercial suggests that anyone is
    leaving or about to leave
  • nothing suggests that any person will necessarily
    be driving within a short period of time after
    events depicted

25
  • Also in May, 2003 BBB considered a complaint
    about the Coors "Because We Can" ad campaign
  • complaint alleged violation of nine different
    provisions of the Coors advertising pledge,
    including the pledge
  • to place ads where the audience is at least 60
    21 and older

26
  • BBB concluded that the ad violated two pledges
  • will not condone overconsumption or
    irresponsible drinking
  • advertising and marketing will be responsible
    and in good taste
  • Coors disputed the BBB's findings but agreed to
    withdraw the campaign

27
b. Advertising Placement
  • 1999 Report
  • criticized the "50 over 21" standard as
    resulting in large underage audiences
  • recommended that industry members raise standard
    for placement and do after-the-fact audits of
    placements
  • 2003 FTC reported that
  • placement compliance had improved "considerably"
    since 1999 report
  • all three associations had amended codes to
    require "70 over 21" standard
  • two of the three industries require members to
    conduct periodic post-placement audits

28
c. Advertising Content
  • 1999 Report
  • recommended that companies target ads to persons
    25 and older or not place ads with substantial
    appeal to underage consumers (even though they
    also appeal to adults)
  • some companies responded that since many alcohol
    consumers develop brand loyalty by age 25,
    necessary to target drinkers between the age of
    21 and 24
  • 2003 Report
  • industry documents show that alcohol industry
    members do make efforts to target ad content to
    persons of legal drinking age
  • some advertising targeted to youngest legal
    drinkers continues to risk appealing to minors

29
d. Product Placement
  • 1999 Report recommended that product placements
  • be limited to movies rated "R" or having mature
    themes
  • not be made in films and programs where underage
    person is the primary character

30
  • According to 2003 Report, companies
  • appeared to restrict alcohol product placements
    to movies and television shows in mature themes
    or "R" ratings
  • avoided movies with themes that appeal to
    underage consumers, such as "coming of age" films
  • rejected requests to place products in movies
    that displayed irresponsible drinking, drunk
    driving, or college drinking

31
  • Beer Institute Code has specific provisions
    concerning product placements prohibits
    placement in films that
  • depict underage drinking
  • show irresponsible consumption in connection with
    driving
  • are particularly attractive to children or have
    underage primary characters

32
Criticism of the FTC Report
  • A number of organizations complained that FTC
    simply adopted the facts provided by the industry
  • Particular concerns are that
  • all advertising aimed a young adults, whether for
    FMBs or other alcoholic drinks, will spill over
    into the underage market
  • "It's impossible to construct an advertisement
    that appeals to a 21-year-old on his 21st
    birthday and doesn't appeal to someone who's 18
    years old or maybe even 16" (CSPI)
  • 70 rule is still too weak because it doesn't
    take into account the total number of underage
    viewers or readers
  • E.g., the percentage of underage consumers
    watching the Super Bowl is small, but the total
    number is substantial

33
Youth Exposure to Alcohol in 2001
  • According to a series of reports by the Center on
    Alcohol Marketing and Youth (CAMY), youth
    exposure to alcohol advertising on television, in
    magazines and on the radio remains substantial,
    despite what is indicated in the FTC Report

34
Alcohol Advertising and Minorities
35
The Target Market
  • Overall, minority groups drink less than whites
  • However
  • the impact of alcohol on minority communities is
    greater than that on white communities
  • in minority communities, among those who do
    drink, the heaviest consumers drink "prodigious"
    amounts
  • Because they are growing in size, minority
    communities are an attractive target market for
    alcoholic beverage marketers

36
Malt Liquor
  • Malt liquor is targeted primarily to urban
    African-Americans and Latinos
  • African American drinkers are four times as
    likely to consume it as the general population
  • African Americans ages 18-24 are nearly five
    times as likely to consume it as the general
    population

37
  • although marketed, packaged and sold like beer,
    it is much more potent than beer
  • alcohol content is as much as 8,
  • compared to an average of 4.6 for beer
  • most commonly sold in 40-ounce containers
  • twice the content of a regular beer
  • single 40-ounce bottle has the same amount of
    alcohol as five shots of whiskey

38
  • it's cheap
  • 40-ounce bottles sells for between 1 and 2
  • in 1990's was the fastest-growing segment of the
    beer market
  • sales increased almost 25 compared to 5 for
    beer sales

39
Advertising
  • early ads used images of sex and power
  • Colt 45
  • current ads continue those themes but appeal to
    younger market use of gangster rap musicians,
    gang symbolism, hip-hop images, etc.
  • St. Ides
  • Phat Boy
  • billboard advertising particularly intrusive and
    much more prevalent in minority neighborhoods
    than white
  • study in a Latino community found children see as
    many as 60 alcohol ads on one-way trip between
    school and home

40
Whats new in 2004/2005?
41
1.Drinking becoming more common among teenage
girls than boys
  • Drinking is increasing among teens
  • Rate of increase greater for girls than boys
  • Increase appears to be advertising-related

42
  • Study published July, 2004 in Archives of
    Pediatric and Adolescent Medicine
  • Larger percentage of girls 12-20 were exposed to
    ads than
  • women over 21
  • Women 21-34 (prime target of marketing)

43
  • Biggest change was in ads for low-alcohol drinks
  • Alcohol iced tea
  • Wine coolers
  • From 2001-2002
  • Boys exposure increased 46
  • Girls exposure increased 216

44
2. Cable TV advertising for liquor is increasing
  • Effective March 1, 2005 CNN became first national
    cable news network to accept commercials for
    distilled spirits
  • Joined growing list of national cable channels
  • Others involve sports, entertainment or financial
    programming
  • Critics express concern about exposure of
    children and teens
  • CNN counters its audience is concentrated in
    25-54-year-old age group

45
3. Distilled Spirits Council making public code
review board decisions
  • DISCUS code review board
  • Comprised of senior member company
    representatives
  • Advisory board of outside experts from academia,
    government and broadcasting
  • Charged with reviewing complaints about
    advertising and marketing materials

46
  • Announced March 8, 2005 it would release reports
    every six months
  • Reports would include
  • complaints
  • response from advertiser
  • action taken
  • Initial report included 15 complaints
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