Day 055 - 25 Nov 94 - Page 04


     
     1        believe do take advantage of the natural credulity and
     2        sense of loyalty of children.
     3
     4        This rule has been open to interpretation, and the ITC have
     5        chosen to interpret it, I believe, not in the spirit of
     6        which I would like to see this rule interpreted.
     7
     8   Q.   So would you say that they are failing in their duty, then,
     9        or what?
    10        A.  Yes.  I would like to see the spirit of the Code
    11        implemented more strongly.
    12
    13   Q.   When you say "the spirit", as opposed to what -- "spirit of
    14        the code should be imposed more fiercely" -- what do they
    15        impose, in effect, then?
    16        A.  Well, it is often said that the letter is imposed as
    17        opposed to the spirit but, actually, the reading of this
    18        I would say that -----
    19
    20   MR. JUSTICE BELL:  You are not saying the spirit in relation to
    21        one; you are saying it does not observe the letter of one,
    22        as well?
    23        A.  Yes.  I was going on to say that my interpretation of
    24        the reading of this is that it does not implement the
    25        letter of point 1.
    26
    27   MR. MORRIS:  Right.  Do you want say anything else about point
    28        1, or move on to point 2?
    29        A.  I think point 2 refers here in relation to toys and
    30        games.
    31
    32   MR. JUSTICE BELL:  Yes.  It has a specific area in mind, has it
    33        not?
    34        A.  Yes.  That has not been one of my primary concerns.  It
    35        may be a concern to others, but my particular interest has
    36        not been in advertising toys and games to children, though
    37        the introductory sentence that "children's abilities to
    38        distinguish between fact and fantasy will vary according to
    39        their age and individual personality" I think is also
    40        relevant to the general context of food advertising.
    41
    42        If we look at point 5, direct exhortation, this point
    43        states:  "Advertisements must not exhort children to
    44        purchase or to ask their parents or others to make
    45        enquiries or purchases."
    46
    47        The way this is interpreted currently by the ITC is to
    48        ensure that advertisers do not directly ask children.  So,
    49        for example, they cannot say in an advertisement:  "Ask
    50        your mummy to buy this for you."  Quite rightly, 
    51        advertisements, in my view, should not do that. 
    52 
    53        But, in effect, I think the spirit of this point is not
    54        adhered to, in that most of the products, many of the
    55        products, that are advertised to children, they cannot
    56        reasonably be expected to purchase for themselves.  I would
    57        include in that going to McDonald's.  Children, young
    58        children particularly, are unlikely to be allowed to visit
    59        McDonald's by themselves and purchase the food, and many
    60        children would not have their own money to purchase the

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