Chapter 3 FASD awareness and prevention
3.1
Fetal Alcohol Spectrum Disorders (FASD) are caused by prenatal exposure
to alcohol. Prevention can only be effected by a woman choosing not to drink
while pregnant. However, there are a number of factors influencing this
decision, ranging from lack of awareness to misinformation, lack of support or
alcohol dependency.
3.2
This chapter discusses first the current national guidelines on alcohol
and pregnancy, and their emphasis on making the safest choice of total
abstinence. Current obstacles to promoting abstinence as the safest choice are
considered, such as the low level of awareness among health professionals, low
public awareness, and lack of support services for women with alcohol
dependence or misuse.
3.3
The chapter examines the factors claimed to be contributing to
increasing alcohol consumption and in particular risky and anti-social patterns
of consumption. These factors include alcohol availability, pricing and
promotion.
3.4
The chapter concludes by discussing health warning labels on alcohol
containers as part of a campaign to improve community awareness of the harms of
alcohol and the effects of alcohol on fetal development.
Prevention through education and support
3.5
As outlined in the previous chapter, there are a number of factors which
may influence a women’s decision to consume alcohol while pregnant. The
following sections consider the role of health professionals in educating women
about the risks of FASD and the national health guidelines on drinking and
pregnancy.
3.6
Raising public awareness of the risk of FASD posed by even small levels
of alcohol consumption is critical to prevention. Currently a number of myths
persist regarding a ‘safe’ level of alcohol consumption and in some instances
this misinformation is perpetuated by poor media reporting. Essential to
raising public awareness and supporting the behavioural change of pregnant
women is an attitudinal change across the wider community.
3.7
While FASD is not confined to a particular population group, those women
who drink more heavily and more regularly place the developing fetus at greater
risk of FASD. In situations where physical or emotional dependency on alcohol
is an issue, there may be need for specialised support services.
The role of health professionals
3.8
The role of health professionals is critical in providing information
for those who are pregnant or planning pregnancies. It is also important that
clear and consistent advice is provided, particularly to counteract the
prevalence of alcohol in Australian society and the low level of current public
awareness of the risk of FASD.
3.9
Most women planning a pregnancy or newly pregnant will consult their
general practitioner to seek advice regarding the health of the developing
fetus and on managing their health during the pregnancy.
3.10
One of the key recommendations that should be provided to women at this
time is that not drinking alcohol is the safest option for the developing
fetus.
3.11
This recommendation comes from the Australian Guidelines to Reduce
Health Risks from Drinking Alcohol (the Guidelines) which are a series of best
practice ‘non-mandatory rules, principles or recommendations’ issued by the National
Health and Medical Research Council (NHMRC).[1]
3.12
The Guidelines are not specific to pregnancy, but provide clear advice
as the safest option for a woman who is pregnancy or planning a pregnancy:
GUIDELINE 4
Pregnancy and Breastfeeding
Maternal alcohol consumption can harm the developing fetus or
breastfeeding baby.
- For women who are
pregnant or planning a pregnancy, not drinking is the safest option.
- For women who are
breastfeeding, not drinking is the safest option.[2]
3.13
However, this has not always been the advice provided in the Guidelines.
3.14
The first set of Guidelines, issued in 1987, did not provide any advice
or recommendations in relation to the consumption of alcohol while pregnant. The
second version of the Guidelines, issued in 1992, included advice not to drink
when pregnant.
3.15
In 2001 the third version of the Guidelines changed this advice and
specified a limit of no more than seven drinks in a week and no more than two
standard drinks per day. This was based on what was described as limited
available evidence whilst indicating that more high quality research was
needed.[3]
3.16
The 2001 Guidelines were in place for eight years. Current levels of
public awareness (discussed further in later sections) suggest that many parts
of the community still consider ‘moderate’ amounts of alcohol consumption to
not pose harm to the developing fetus.
3.17
The current Guidelines were issued in 2009 following an extensive review
of the 2001 Guidelines including a substantial literature review, a public
consultation and both national and international peer review.
3.18
It is likely that the successive changes in the Guidelines from 1987 to
1994, 2001 and 2009 have resulted in a low level of awareness amongst health
professionals and members of the public, and some confusion as to the reasons
leading to the changed advice.
3.19
Although there has been some criticism of this changed approach[4]
and the recommendation that women should not consume any alcohol when pregnant,
there is general support for the ‘safest option’ approach of the current
Guidelines.[5]
3.20
While the risk to the fetus from heavy drinking is well known, the
evidence of fetal effects from low or moderate consumption is less well
understood. Commentators such as Dr Colleen O’Leary have noted that it is
important that women are informed that not all pregnancies exposed to alcohol,
including heavy levels of alcohol, will necessarily be harmed. However, as
there is no established knowledge as to the degree of risk from different
levels of exposure, and how this may vary during stages of fetal development, health
professionals need to take a pragmatic approach when advising women about the
risks of alcohol during pregnancy.[6]
3.21
The Winemakers’ Federation of Australia (WFA) informed the Committee about
recent studies into alcohol consumption by pregnant women investigating the effects
of drinking in moderation. The WFA reported that in their opinion the results
indicate that there is no significant risk of harmful effects and they argued
that this should direct future guidelines and advice to pregnant women.[7]
Their view is that:
Given that the evidence against very low levels of
consumption is unclear or non-existent, public health campaigns should avoid
alarmist statements about the impact of low levels of alcohol on fetal
development with the goal of scaring women into abstinence.[8]
3.22
Dr Bernie Towler agreed that the evidence currently available suggests
that at low levels of consumption there is low risk, but added that the
individual factors of the woman and her pregnancy need to be taken into
consideration.
In the absence of evidence, we do not really know how it is
going to be one on one. So it is really the safest message and it is not
uncommon to take that kind of preventative and cautious approach.[9]
3.23
To this end, the Guidelines for reducing health risks from drinking
alcohol now include a section with practical advice for health professionals
that states:
- the risk to the
foetus is higher with high alcohol intake, including episodic intoxication, and
appears to be low with low level intake
- it is impossible to
determine how maternal and foetal factors will alter risk in the individual.[10]
3.24
However, research indicates that a number health professionals are not
even aware of the advice provided in the Guidelines and so are not providing
this information to women. Professor Elizabeth Elliott, a member of the working
party to revise the 2001 Guidelines, informed the Committee that the previous
Guidelines were not well known by health professionals. Research indicated only
12 per cent of health professionals were able to identify the components of the
Guidelines that related to pregnancy.[11]
3.25
Over the three years since the new Guidelines have been in place, research
suggests many health professionals are not aware of the changes and do not
necessarily endorse the Guidelines as best practice. Although the Guidelines
are clear on the ‘no alcohol during pregnancy’ message, a recent evaluation of
the promotion of the Guidelines reported a low level of awareness of the Guidelines,
with messages considered ‘unrealistic and confusing’.[12]
3.26
The Committee received evidence that some doctors and midwives continue
to tell pregnant woman that moderate drinking while pregnant is safe and should
not be a concern.[13]
3.27
Despite this alarming and irresponsible lack of awareness of the current
Guidelines amongst some health professionals, evidence suggests that the
changed Guidelines may be assisting to influence the consumption patterns of
pregnant women. The Longitudinal Study of Australian Children: Annual
statistical report 2010 reported that alcohol consumption of mothers from a
cohort that was subject to the less stringent Guidelines was higher than
mothers from a cohort where the Guidelines recommended that women not drink
alcohol during pregnancy (although the study found that further investigation
was required).[14]
3.28
Alongside concerning evidence regarding a lack of knowledge of the
Guidelines amongst some health professionals, substantial evidence was provided
to the Committee that health professionals often lack the skills or do not
consider it relevant to discuss alcohol consumption with a woman who is
pregnant.
3.29
The Telethon Institute for Child Health Research (Telethon Institute)
provided research which indicated that health professionals infrequently ask
about alcohol use in pregnancy and most feel ill-equipped to advise women about
alcohol use in pregnancy or its potential adverse effects.[15]
3.30
They reported that a 2007 survey in Western Australian found that only
half the health professionals who cared for pregnant women routinely asked
women about alcohol consumption in pregnancy and only 33 per cent routinely
provided information to pregnant women about the effects of alcohol use in
pregnancy.[16]
3.31
A 2011 poll conducted by the Foundation for Alcohol Research and
Education (FARE) found that less than half (42 per cent) of pregnant or
breastfeeding women who were surveyed could say that a health professional discussed
the risks of alcohol consumption.[17]
3.32
Professor Elliott claimed that there is reluctance on the part of health
professionals to ask about alcohol use in pregnancy or to provide advice on not
drinking in pregnancy.[18]
3.33
The Australian Wine Research Institute cited research that attributes
lack of effective screening of pregnant women to:
… inadequate knowledge and skills among health care
providers, including obstetricians, general practitioners, midwives and nurses,
reinforced by limited education and training in medical school and in general
practice, lack of time, and system barriers such as lack of intervention tools,
protocol, referral or treatment resources.[19]
3.34
The Australian National Preventive Health Agency (ANPHA) clarified that some
health professionals believe that they lack the necessary skills and tools to
identify women and families at risk and thus to provide the necessary advice,
support and referrals to bring about early intervention.[20]
3.35
At the Royal Women’s Hospital in Melbourne, maternity intake processes
usually include measures of alcohol consumption. Staff told the Committee that
they try initially to develop a rapport with women in order to facilitate this
discussion.[21]
3.36
Tools are available to assist health professionals discuss the issue of
alcohol consumption with a woman during any stage of a pregnancy.
3.37
Representatives from Commonwealth Government Departments, including the
Department of Health and Ageing and the Department of Families, Housing,
Community Services and Indigenous Affairs, discussed the recently revised Alcohol
and Pregnancy Lifescripts Kit. This is a resource to aid primary healthcare
professionals interview patients and discuss issues health and pregnancy
management issues. The Lifescripts kit is informed by the NHMRC Guidelines.[22]
3.38
The advantage of the Lifescripts is that it enables the general
practitioner (GP) to openly raise alcohol consumption during pregnancy and to
advise, refer and treat a pregnant woman. It also serves to help GPs identify a
woman who may have been drinking excessively during pregnancy and who may need
additional support.
3.39
Dr Raewyn Mutch from the Telethon Institute advised that it is important
for GPs and Child Health Nurses to be equipped and capable of asking about
lifestyle risk factors, such as alcohol consumption, as these are the
professionals closest to the families.[23]
3.40
Further discussion on the role of health professionals in screening
women for alcohol consumption during pregnancy is provided in the following
chapter as part of diagnosis and management of FASD.
Raising public awareness
3.41
It is apparent that across the field of health professionals, there are
a number of practitioners who lack up to date information, who spread
misinformation or who are reluctant to raise the topic of alcohol consumption
with women who are pregnant or planning to become pregnant.
3.42
This is a serious failing and is no doubt a major contributor to the
lack of public awareness of the risks of FASD, and to the myths and the
misinformation that currently exist across the wider community.
3.43
Research indicates that although the risk of birth defects is greatest with
high and frequent maternal alcohol intake during the first trimester, alcohol
exposure throughout pregnancy can have consequences for the development of the
fetal brain.[24]
3.44
The National Rural Health Alliance (NRHA) contended that the social norms
governing drinking alcohol in Australian society may mean that women continue
to drink when pregnant without being aware of the consequences of alcohol
exposure to the fetus.[25]
3.45
The WFA considers that as alcohol is an accepted part of Australian
culture, women will need to make the choice to consume alcohol when pregnant
based on the best available information.[26]
3.46
The National Alliance for Action on Alcohol (NAAA) considered that the
community needs to be better informed that maternal alcohol consumption can
result in a spectrum of harms to the fetus.[27]
3.47
Janet Falconer from the Langton Centre regularly encounters a lack of
awareness of the harm of alcohol in pregnancy compared to illicit drugs: ‘What
alcohol does to an unborn child is not out there. [Alcohol] is almost put into
a different category because it is legal.’[28]
3.48
A Telethon Institute study found that pregnant women had some level of
knowledge about not drinking too much. They had little idea, however, of the
impact of alcohol and how it actually affected a baby’s development in either
the early stages when they do not know they are pregnant or throughout their
pregnancy.[29]
3.49
Professor Elliott told the Committee that a survey of women found that
they wanted a clear message; they wanted to be advised of the safest option not
to drink in pregnancy:[30]
- 80 per cent agreed
that pregnant women should not drink alcohol
- 99 per cent said
information about the effects of alcohol on the fetus should be readily
available
- 97 per cent said
health professionals should ask women about their alcohol use in pregnancy and
97 per cent said they should provide advice about alcohol use in pregnancy
- 91 per cent said that
health professionals should advise women who are pregnant or thinking of
becoming pregnant to give up drinking alcohol.[31]
3.50
Despite the desire for a clear and consistent message regarding the
risks of alcohol consumption during pregnancy, community perceptions of the
risk seem to vary greatly. Figure 3.1 provides a sample of comments from an
article on drinking in pregnancy featured on a popular Australian news site.
Figure 3.1 Online comments on news article
Ø
The
No alcohol in pregnancy message has nothing to do with telling pregnant women
what to do. It is all about telling them what is the safest choice for the
optimum health and development of their unborn child. Patricia, Adelaide Jul
11, 2012, 01:34PM
Ø
But
the research shows that the occasional glass of wine doesn't cause any harm -
so why should people abstain because popular opinion is in conflict with the
evidence that scientific studies have produced? Claire, Jul 11, 2012,
02:44PM
Ø
Ridiculous.
Pregnant women had a glass of wine if they felt like it in the seventies and
no-one got paranoid about it. They also ate soft cheese, seafood and processed
meats and gave birth - usually naturally - to healthy and intelligent children.
I know because I did it and watched those children arrive and grow up into
their forties. These idiotic rules forced on pregnant women are meaningless and
utterly unnecessary. R.Ross, Jul 11, 2012, 03:41PM
Ø
As
a registrar at a major hospital in Darwin I see the terrible results of
pregnancy and drinking. FAS is no joke, does happen and leaves a massive burden
on families and the tax community who inevitably pick up the bill. So how much
alcohol is OK during pregnancy? -zero. Once again for the dull. How much
alcohol is OK during pregnancy? - zero. Sean, Jul 11, 2012, 03:45PM
Source L Malone, ‘”I can't serve you.
You're pregnant"’, The Canberra Times, 11 July 2012.
3.51
This confusion as to the recommended approach, and an understanding that
this recommendation is based on the safest option rather than a risk level was
highlighted by media reporting of a limited Danish study into the effects of
low alcohol consumption in early pregnancy.[32]
3.52
Results of the Danish study were released during the course of this
inquiry and the findings of that study were reported alongside media coverage
of this FASD inquiry.
3.53
It was reported that the results of the study showed significant effects
were not observable from low to moderate alcohol consumption during pregnancy
on executive functioning of children at the age of five years.[33]
3.54
These results were ‘translated’ in some media coverage with headlines
such as:
- The Truth about
Women and Alcohol[34]
- Moderate Drinking
in Early Pregnancy Branded ‘Safe’[35]
- A Little Alcohol
while Pregnant may be OK?[36]
- Pregnant Women can
Binge Drink Safely, says Research[37]
3.55
The media reporting bore little resemblance to the findings of the study
and the claims made in some media reports did not equate with the limited
findings of the research. Further, this reporting indicated little
understanding of the approach of the NHMRC Guidelines which is to recommend the
safest option based on current best practice research evidence.
3.56
Professor Jane Halliday spoke generally about some of the issues with
research supporting alcohol consumption when pregnant:
Anyway, there are methodological problems in a lot of these
studies, and they are all conflicting, so I think the story is still not fully
told and there is a lot more research that needs to be done to try to address
what are the true risks associated with low and moderate levels of drinking,
which is what we are focused on.[38]
3.57
The National Health Service in the UK commented that:
Coverage in the [UK] media was confusing, potentially
misleading and damaging. Several papers, such as the Metro and the Mail, claim
that binge and heavy drinking during pregnancy is safe, while the BBC and the
Telegraph report that low or moderate drinking does ‘no harm’ to the child. The
claim made by the Express and the Mail that pregnant women can safely consume
12 alcoholic drinks a week is particularly worrying.[39]
3.58
Dr Mutch noted that the Danish study was misrepresented in the media.[40]
Commenting on the damage caused by such inaccurate media reporting, Dr David
Reeve noted the numbers of people who read the newspaper and will take such
claims as reliable information.[41]
3.59
Similarly Professor Elliott commented on the serious consequences of misinformation,
and how the Australian media have represented alcohol consumption during
pregnancy:
We have to be very careful and the media has to be careful of
these issues that are potentially harmful. If you've got someone who does drink
during pregnancy they will be reassured with that sort of message and they’ll
think, ‘Oh, that’s fine. I can keep going.’ One of the problems that women tell
us is that they get mixed messages. They get messages that it’s okay, not okay,
one drink can hurt them, binge drinking is the only thing that hurts them. What
we are saying is that the safest option – as the National Health and Medical
Research Council and Department of Health and Ageing propose in their
guidelines — is that women avoid alcohol during the period of pregnancy and
when planning a pregnancy.
3.60
It is clear that community awareness of the risks of FASD is low and
community understanding of abstinence as the safest option is low. Ensuring
health professionals undertake a more educative role is key to improving the
knowledge and awareness of pregnant women. Clear and consistent public
awareness campaigns are required for women to understand the risks involved and
make choices to change their behaviour and not consume alcohol when pregnant.
3.61
It is necessary for these public awareness campaigns to inform all women
of the risks posed to the developing fetus by prenatal exposure to alcohol, and
also to target particular populations of women who, due to their higher levels
of alcohol consumption, are placing the developing fetus at higher risk. This
includes young women in the 18 to 24 year group, including those in metropolitan,
regional areas, and Indigenous women.
3.62
In addition, there is a need to raise the awareness of the broader
community about the risks of FASD and the safest approach advocated by the
Guidelines.
Community and family engagement
3.63
There was substantial evidence indicating a significant need to educate
men about the harmful effects of alcohol on a pregnancy and for men to take an
active role in helping partners to prevent FASD in their baby.[42]
3.64
The Western Australian Network of Alcohol and other Drug Agencies (WANADA)
asserted that men should be aware of the dangers of drinking in pregnancy,
highlighting that it is important that families, partners and the community are
aware of why a woman may decide not to drink, particularly if she is planning a
pregnancy or if she is pregnant.[43]
3.65
The Tasmanian Department of Health and Human Services argued that ‘women
who are pregnant find it difficult not to drink if they have partners and
networks of friends where alcohol is at the centre of socialisation’.[44]
3.66
The NRHA stated that men have been ‘let off the hook’ for too long in
the FASD story:
Their understanding, support and assistance can be very
valuable in the prevention, identification and management of FASD. It is
critical not to see FASD as a women‘s issue.[45]
3.67
The NRHA further added that assistance for women to stop drinking during
pregnancy may include assistance with other issues affecting their wellbeing.
Their partners may also need to be encouraged to be supportive, even if this
means to stop drinking themselves.[46]
3.68
The Australian College of Children and Young People’s Nurses raised their
concern that not enough is done with young men around early intervention
strategies for drinking. They contend that young men as well as young women
need to be targeted.[47]
3.69
The National Drug Research Institute reported that male partners can
affect a woman’s choice to drink when pregnant. Their study showed that 75 per
cent of women who drank during pregnancy usually drank with their partner, with
40 per cent noting that their partner usually initiated drinking occasions.[48]
3.70
FARE told the Committee that partners who drink can foster an
environment where alcohol use is tolerated and encouraged. They shared research
which showed that 30.5 per cent of women would stop or reduce their drinking if
their partner also stopped drinking for the duration of the pregnancy and 38
per cent would drink less if their partner encouraged them to stop or cut back.[49]
3.71
Dr Rosalie Schultz argued that a fundamental change in attitude is
needed where society can accept that it is normal and healthy for pregnant women
to abstain from alcohol. She considers that this will be a considerable
challenge given that alcohol is present at almost all social events. Dr Schultz
stated:
While only women drinking alcohol leads directly to foetal
alcohol spectrum disorder, men drinking alcohol contributes to women drinking
alcohol. Therefore interventions leading to reduction in alcohol-consumption
across society are needed.[50]
Voluntary alcohol restrictions in Indigenous communities
3.72
A number of Indigenous communities have voluntary alcohol restrictions
in place in order to reduce the harms of alcohol in their communities. This may
include violence and social dysfunction as a result of excessive drinking, and
the high rates of FASD which have been recognised in some Indigenous
communities.
3.73
A leading expert in alcohol consumption in Indigenous communities,
Dr Maggie Brady, said that:
… somewhat ironically, and unlike mainstream Australia with
its national antipathy towards any (even implied) interference with our
enthusiastic consumption of grog, Aboriginal people in some regions have
embraced prohibition.[51]
3.74
In Queensland, 19 Indigenous communities have alcohol management plans
that restrict the type and quantity of alcohol allowed into the community to
varying degrees. In addition, the Queensland Government has set up a scheme
that allows households in designated communities to choose to be ‘dry places’.
Once designated as a ‘dry place’, anyone who drinks or has any type of alcohol
in the home will be breaking the law and could be fined up to $2 090.
These communities include Cherbourg, Hope Vale, Doomadgee and Palm Island.[52]
3.75
However, the Queensland Government announced a review of the alcohol
management plans in October this year, raising concerns about a return to
previous high levels of alcohol-related violence.[53]
Figure 3.2 The Lililwan Project
Marulu: the Lililwan project is an innovative and
highly successful community-led strategy developed to address FASD and early
life trauma in the Fitzroy Valley of Western Australia. The community
recognised that FASD threatens the very existence of Aboriginal culture in the
Fitzroy Valley—where traditions, stories, and ways of life are passed from one
generation to the next through oral communication. The strategy is guided by
the community’s need to heal the pain of past alcohol abuse, to preserve their
local culture and to ensure a bright future for their children.
June Oscar, Lililwan Project Chief
Investigator, said: ‘This whole process of initiating the Lililwan Project and
developing the overarching Marulu strategy by our community is something
the community has been discussing and planning over a number of years.’ The
project has three components: diagnosis and prevention of FASD, support for
parents and carers of children with FASD, and advocacy and awareness-raising
about FASD.
In partnership with experts in Indigenous
health, paediatric medicine, human rights advocacy and child protection, the
Lililwan project represents Australia’s first ever prevalence study of FASD.
The project noted that past attempts to document the prevalence of FASD have
been hampered by under-recognition and under-reporting. The unique data derived
from the project will enable the community to advocate for improved health
care, and community and education services.
Ms Oscar described the development of the
strategy: ‘It all came to a head in July 2007 when the women in our community
decided that it was time we took a strong stance on the way in which alcohol
was devastating the lives of many in our community. We focused on pursuing
alcohol restrictions which gave respite to the community and in the months that
followed the women made FASD a priority area that we wanted to address from the
community.’
Ms Oscar said: ‘We sought out the assistance
of government and our current partners. We noted that we cannot do this alone
as a community and government cannot do it on its own. It needs a whole network
of people and hence we have come up with a collaborative model of how to pursue
this issue.’
In Bunaba, a local language of the Fitzroy
Valley in Western Australia, Marulu means ‘precious, worth nurturing’,
while in Kimberley Kriol, Lililwan means ‘all of the little ones’. The
Lililwan project has been extremely successful in addressing FASD locally and
has provided valuable lessons for the development of strategies to address FASD
elsewhere in Australia. In addition, the project has received international
recognition at the United Nations for its considerable achievements.
Source: http://www.georgeinstitute.org.au/marulu/our-story
and Ms June Oscar, Chief Executive Officer, Marninwarntikura Women’s Resource
Centre, Lililwan Project Chief Investigator, Committee Hansard¸ Canberra, 24
November 2011, p. 2.
3.76
In Fitzroy Crossing and Halls Creek in Western Australia, strong local
women have led voluntary alcohol restrictions where responsible serving of
alcohol is now being enforced. In these communities there has been a noticeable
decline (between 20 and 40 per cent) in the number of alcohol-related crimes
and alcohol-related admissions to hospitals.[54]
3.77
Since 1979, more than 100 Indigenous communities in the Northern
Territory have used the restricted areas provisions under the Northern
Territory Liquor Act 1978 to either ban or restrict the consumption and
possession of alcohol in their communities.[55] Dr Brady noted that
these provisions ‘vary according to local circumstances and expressed need’.[56]
3.78
Similarly to Queensland, the Chief Minister of the Northern Territory
has suggested that alcohol bans could be lifted.[57]
3.79
The Commonwealth Government has announced that, as part of the Stronger
Futures in the Northern Territory initiative, minimum standards for Alcohol
Management Plans will be introduced for all Indigenous communities in the
Northern Territory. These standards are designed to help improve safety for Indigenous
communities in the Northern Territory, and will support voluntary alcohol
restrictions that are already in place. The Government is conducting
consultations with Indigenous people and other stakeholders on these
arrangements prior to the introduction of minimum standards.[58]
Specialised intervention and support services
3.80
Alcohol dependency, whatever the factors leading to this situation,
poses particular problems in terms of supporting a woman not to drink during
pregnancy. Where alcohol dependency exists, a woman is likely to have a history
of regular and heavy alcohol consumption, which places the developing fetus at
high risk of FASD.
3.81
In these instances, even awareness of the high risk may not be
sufficient for a woman to cease or reduce her alcohol consumption. Specialised
support and assistance is required.
3.82
Most hospitals that provide maternity services have some provision for
women who drink heavily or use drugs. These services can often form a team of
professionals that provide care and support for pregnant women with ongoing
drug and alcohol issues.
3.83
The Committee visited the Women’s Alcohol and Drug Service at the Royal
Women’s Hospital in Melbourne, which provides multi-disciplinary care for
pregnant women with drug and alcohol issues and their infants.[59]
The Committee also heard from the Chemical Use in Pregnancy Service which
operates in the South East health region of New South Wales.
3.84
Research has found that illicit drug users generally tend to be truthful
about their use when reporting in a research or clinical situation, however
this is not necessarily the case when the drug user is pregnant. When pregnant
illicit drug users were asked whether there had been recent illicit substance
use only 2 per cent of the sample reported that they had, but 16 per cent tested
positive in hair analyses.[60]
3.85
Neonatologist Dr Ju Lee Oei’s experience supports this research. She
advised the Committee that ‘what we have also noticed in our work is that there
is a reticence of admitting to alcohol or drug use, especially in the privately
insured population’.[61]
3.86
Professor Elliott suggested that women not already known by community or
social services to be drinking may slip through the net:
What we have not really explored is the number of people out in
the general community who are not attached to [substance use] services who are
drinking significant amounts and who potentially should be helped and who may
be unaware of the potential harm that they are doing.[62]
3.87
WANADA stated that they saw a need for health professionals able to work
with women who may find it difficult to give up alcohol during pregnancy:
… so that they are not turned away or forced to lie about
their alcohol use but instead can be offered effective strategies to reduce
their alcohol consumption during that time.[63]
3.88
Others raised concerns about mothers who continue to drink heavily
through multiple pregnancies. They may already have children diagnosed or
suspected of having FASD and yet continue to drink during subsequent
pregnancies.[64]
3.89
Professor Elliott explained that there was very little evidence to
support what should be done when it is identified that a woman is drinking
during pregnancy. She considers that more research is required to establish
what services should be provided.[65]
3.90
The Public Health Association of Australia agreed that it is not as
simple as just stopping drinking in all cases. They stated that if an
individual has a serious drinking problem, that is a clinical issue which needs
to be managed in the appropriate way. They highlighted the risk of harm to
people through unsupported alcohol withdrawal.[66]
3.91
Many submitters to the inquiry suggested that brief interventions could
be used where appropriate.[67] Interventions may take
the form of voluntary residential care, alongside a range of therapeutic
services and work across family and support networks to assist in changing
behaviours and providing alternatives to the lifestyle of alcohol use.
3.92
Such interventions would bring together drug and alcohol support
services with maternity care providers to provide holistic approaches that
optimise outcomes for the woman and the developing fetus. Many of these
services are delivered by State programs, however it is essential that they are
considered as part of an integrated national plan for FASD prevention.
Committee Comment
3.93
There is a perception amongst many in the community that low levels of
alcohol consumption when pregnant do not pose a risk to the developing fetus.
However, research has not established if there is any ‘safe’ level of alcohol
consumption when pregnant. What is known is that even small amounts of alcohol
have the potential to impact the healthy development of the fetus with lifetime
consequences for the child.
3.94
The Guidelines are clear that the safest option for women is not to
drink when pregnant or planning a pregnancy. The Committee is deeply concerned
that this advice is not widely known, and the best practice approach of
advocating the safest option is not widely understood.
3.95
Perhaps even more alarming is the low level of awareness of the
Guidelines amongst health professionals and a lack of skills and training in discussing
alcohol consumption with pregnant women. The Committee considers this a
devastating failing in our health system.
3.96
The community relies on all types of health professionals to provide the
most up to date and informed advice. Currently this is not being provided and
the Committee recommends targeted training to ensure all health professionals
are fully cognisant of the Guidelines and the risk posed by prenatal alcohol
exposure.
3.97
FASD prevention starts with information. It is a simple message and
health professionals play a vital role in advising and counselling pregnant
women, and ensuring accurate information is provided to the community. The
Committee recommends urgent action to ensure all health professionals fulfil
this important role in regards to FASD prevention.
Recommendation 4 |
3.98 |
The Committee recommends that the Commonwealth Government
work with the National Health and Medical Research Council and professional
peak bodies to ensure that all health professionals are:
- fully
aware of the National Health and Medical Research Council Guidelines that
advise women not to drink while pregnant;
- have
alcohol consumption impacts on pregnancy and the developing fetus
incorporated into all general practice and midwifery training;
- trained
in discussing the National Health and Medical Research Council Guidelines and
alcohol consumption with women; and
- skilled
in asking women about alcohol consumption and recognising and responding to
women at risk.
By 1 January 2014, all health professionals, including
sexual health advisors, midwives, general practitioners and obstetric
professionals should be promoting the consistent message that not drinking
while pregnant is the safest option, in line with the National Health and Medical
Research Council Guidelines. |
3.99
The Committee recognises the need to collect data about women drinking
while pregnant so consumption patterns may be identified, monitored and
additional support or awareness programs can be targeted to where there is most
need.
3.100
The Committee recommends that health professionals record the
consumption of alcohol during pregnancy or at the time of birth for women who
have not presented for prenatal care. This would inform future health planning
and assist in FASD screening.
Recommendation 5 |
3.101 |
The Committee recommends that the
Commonwealth Government establish mechanisms for health professionals to
record women’s alcohol consumption during pregnancy, or at the time of birth
for women who have not presented for prenatal care, and to ensure such
information is recorded in midwives data collections or notifications across
Australia. |
3.102
Awareness of the risk posed by prenatal alcohol exposure can be
radically improved by health professionals raising the issue with patients and
providing clear advice in line with the NHMRC Guidelines. Knowledge about FASD
needs to include both specialist medical advice and general public awareness.
3.103
FASD and the risks posed by prenatal alcohol exposure must become common
knowledge. This must be achieved by widespread awareness initiatives run
through media campaigns, health forums, pamphlets, posters and other forms of
advertising.
3.104
The Committee commends the work of the Western Australian government in
its series of advertisements encouraging women not to drink when pregnant, and encouraging
friends and families to actively support this decision. However, more is needed
nationwide to effect change.
3.105
The lack of accurate information means women are not always able to make
informed choices about their alcohol consumption, and may unknowingly be
placing their child at risk. In addition, the lack of broader community knowledge
can result in poor family and community support for women to stop drinking when
pregnant.
3.106
Key to preventing FASD is raising community awareness of the Guidelines,
and changing societal expectations so that it is the norm that women do not
drink when pregnant or when planning a pregnancy.
3.107
It is the view of the Committee that partners, families and the
community at large all play a role in ensuring that a pregnant woman is not
placed in a position where she is coerced or made to feel that the only option
available is to have a drink.
3.108
This social change will require a range of targeted nationwide campaigns
that raise awareness across the community, not just among women. Specific
campaigns should be developed to raise awareness in Indigenous communities and
amongst youth who are more likely to engage in risky levels of alcohol
consumption and be in situations where the social expectation is to engage in
drinking alcohol.
3.109
However, it is important that these awareness campaigns promote the
message that FASD is a risk for the baby of any woman who drinks at any level
while pregnant, and the risk of FASD is not confined to a particular population
group or to particular levels of alcohol consumption.
Recommendation 6 |
3.110 |
The Committee recommends that the
Commonwealth Government implement a general public awareness campaign which
promotes not drinking alcohol when pregnant or when planning a pregnancy as
the safest option, consistent with the National Health and Medical Research Council
Guidelines.
Specific awareness campaigns
should be developed to target youth and Indigenous communities.
Nationwide campaigns should be
started no later than 1 July 2013.
|
3.111
As part of these nationwide awareness raising initiatives, the Committee
concurs with the Western Australia parliamentary committee’s recommendation
that the Guidelines regarding alcohol and pregnancy be printed on pregnancy
testing and ovulation kits.[68]
3.112
Women who are planning a pregnancy or who consider they may be pregnant
are likely to purchase pregnancy and ovulation testing kits. Requiring these
products to display information about the risks of drinking while pregnant will
assist in providing a targeted message to women who may become pregnant.
3.113
These labels should be consistent with information provided through the
public awareness campaign and will enable women to receive clear advice about
the risks posed by consuming alcohol.
Recommendation 7 |
3.114 |
The Committee recommends that the Commonwealth Government
mandate a health advisory label advising women not to drink when pregnant or
when planning a pregnancy to be included on the packaging of all pregnancy
and ovulation testing kits. These labels should be in place by 1 October 2013. |
3.115
The Committee acknowledges that high levels of alcohol consumption has
been a feature of many Indigenous communities, and many of these communities
have been proactive in taking steps to control the use of alcohol within communities.
Some state and territory governments have introduced measures to assist
Indigenous and other communities restrict the accessibility of alcohol.
3.116
However, recent moves in some states and territories have suggested the
lifting of alcohol restrictions and abolishment of alcohol management plans.
3.117
The Committee considers that these community endorsed approaches are
vital in changing patterns of consumption and creating a space where women,
families and communities can make positive choices around their use of alcohol.
3.118
The Committee welcomes the recent announcement by the Commonwealth
Government in regards to draft minimum standards for Alcohol Management Plans
in the Northern Territory, and the consultation process being undertaken with
Indigenous communities.[69]
3.119
FASD is disabling the children of many Indigenous communities. It is the
role of Government to provide a concerted education program on the risks of
prenatal alcohol exposure and, where an Indigenous community wishes to
institute an alcohol management plan, to support this initiative.
3.120
The Committee urges state and territory governments to show leadership
and acknowledge the self-determination and decision making capabilities of
Indigenous communities who want restrictions on alcohol. Government should support
these important measures as part of the national strategy to eliminate FASD which
in turns supports a strong Indigenous people.
Recommendation 8 |
3.121 |
The Committee recommends that the Commonwealth Government
raise with the States and Territories the critical importance of strategies
to assist Indigenous communities in managing issues of alcohol consumption
and to assist community led initiatives to reduce high-risk consumption
patterns and the impact of alcohol. |
3.122
The Committee acknowledges that for some women not drinking when
pregnant is difficult due to other life circumstances. These women will require
specialised assistance and support.
3.123
The reasons why a woman in this situation may continue to drink, despite
knowledge of the risks posed to the fetus, are rarely simple. It is critical
that women are able to engage with the health system without fear or judgement.
3.124
The Committee considers that voluntary intervention and support services
across remote, regional and metropolitan Australia are essential for women with
alcohol dependency issues. Services must be culturally appropriate in their
response to women and families, and able to provide a range of options to
assist women manage their life circumstances and ensure the best health for the
developing baby.
Recommendation 9 |
3.125 |
The Committee recommends that the Commonwealth Government
work with State and Territory governments to identify and implement effective
strategies for pregnant women with alcohol dependence or misuse. |
Prevention through reforms of alcohol sales and labelling
3.126
FASD prevention and better support for those with FASD and their carers is
the focus of the inquiry. However substantial evidence was received regarding
the wider range of harms caused by alcohol. The changes in alcohol consumption
patterns in Australia were often linked to changes in the accessibility and
marketing of alcohol.
3.127
Michael Thorn from FARE told the Committee that the issue of managing
the risky consumption of alcohol can be triangulated around price, availability
and promotion.[70] Others stated that
strategies for general alcohol harm reduction were critical to FASD prevention,
and this required changes to the physical availability and price of alcohol.[71]
3.128
The following sections consider the pricing, availability, promotion and
labelling of alcohol in Australia, and the contribution of these factors to
social attitudes and behaviours around alcohol consumption.
Pricing and availability
3.129
There is a volume of research on the harms of the misuse of alcohol, the
associated social and economic costs of these harms, and the effect of pricing
on consumption patterns when combined with a culture of heavy drinking.
3.130
Amongst the research providing detailed empirical evidence linking price
changes to alcohol harm reduction is the 2009 World Health Organization (WHO)
paper Evidence for the Effectiveness and Cost–effectiveness of Interventions
to reduce Alcohol-related Harm which states that:
There is indisputable evidence that the price of alcohol
matters. If the price of alcohol goes up, alcohol-related harm goes down.
Younger drinkers are affected by price, and heavy drinkers are more affected
than light drinkers; in fact, if a minimum price were established per gram of
alcohol, light drinkers would hardly be affected at all.[72]
3.131
Further, many submitters to the inquiry provided evidence as to the
benefits of price increases on reducing excessive drinking patterns and
fostering a more informed and responsible attitude to alcohol consumption.
3.132
For example, the NAAA cited international scientific evidence which consistently
shows that alcohol consumption and harm are influenced by price.[73]
3.133
Todd Harper from the NAAA stated that there is good modelling to suggest
that a 10 per cent increase in pricing leads to a 5 per cent decrease in
consumption.[74]
3.134
The Western Australia Drug and Alcohol Office referred to research that
shows women are more likely to reduce their alcohol consumption due to price
increases than men. This suggests that increasing the price of alcohol may be amongst
effective measures for reducing drinking by pregnant women.[75]
3.135
Some submitters argued that price increases unfairly target responsible
drinkers and do not impact on risky drinking behaviours. The WFA contend that
the abuse of alcohol by high risk consumers does not change as price goes up.
They suggested that while overall national alcohol consumption may decrease
with price changes, those consumers who represent the high end users have an
‘inelastic demand’ for alcohol.[76]
3.136
Similarly, the Australian Hotels Association Western Australia (AHAWA) argued
that pricing measures may punish the overwhelming majority of Australians who
consume alcohol in a way which does not impose risks for themselves or others. They
noted that increases in pricing may force some at-risk drinkers from the market
but does not address the key issue at hand.[77]
3.137
These claims have been disputed by a number of independent studies and
reports. For example Professor Ian Webster provided evidence from Canadian
studies on the effectiveness of minimum pricing. These studies showed that the
consumption of alcohol across all groups fell when the minimum price was
increased, contradicting the position taken by the alcohol industry that those
who are heavy drinkers are not affected by pricing policies.[78]
3.138
These results are consistent with those published by the WHO[79]
and by research commissioned by FARE[80].
3.139
Recognising the impact of pricing, the Commonwealth Government has
tasked ANPHA with developing the concept of a public interest case for a minimum
(floor) price of alcohol, ‘to discourage harmful levels of consumption and
promote safer consumption.’[81] The final report is due in
December 2012.
3.140
Several submitters raised the need for reviewing approaches to pricing,
and in particular questioned the current tax and excise regime and the alcohol
pricing inequities it creates.
3.141
Currently, wine is subject to a tax while other forms of alcoholic
beverages incur an excise. The tax on wine (known as the Wine Equalisation Tax)
is calculated based on wholesale value. In contrast, in most instances excise
is based on the proportion of alcohol content, and varies across beverage type.
Beer is subject to a different excise calculation again.
2.1
These variations result in cheaper wine attracting less tax and in some
cases alcoholic beverages are cheaper than bottled water or milk. A number of
submitters expressed concern at the impact of this pricing structure.[82]
2.2
A volumetric approach to pricing alcohol would resolve these inequities,
as outlined in the FARE commissioned report:
Alcohol taxation reform would improve the efficiency of the
Australian taxation system and improve the resource allocation efficiency by removing
current distortions in favour of cheap wine. AS recommended by the Henry Tax
Review, this involves shifting all alcohol taxation to a volumetric basis.
Importantly an increase in alcohol taxation would reduce consumption and the
associated adverse externalities.[83]
3.142
The report also notes that:
3.143
In addition to sale pricing reforms, several witnesses noted the
increased number of alcohol retail outlets and the expansion of venues at which
alcohol is sold. An increase in lower priced alcoholic beverages over the last
few years has been accompanied by an increase in the sale points of alcohol.
Many argued that it was not just the cheap acess of alcohol but the physical
availability of alcohol which must be addressed as part of harm reduction
strategies.[85]
3.144
The increased number of sale points for alcohol is caused to a large
degree by the deregulation of liquor control laws.[86]
3.145
Liquor licensing laws and regulations in most states and territories
have been relaxed over the past decade, due in part to the requirements of
National Competition Policy.[87] One result of this has been the increase in
the number of new licensed premises in some jurisdictions. For example, the
number of outlets in Victoria has increased from around 4 000 to 16 000
from 1986 to 2006.[88]
3.146
In addition, there has been an increase in the numbers of premises with
extended trading hours, the numbers of licences to sell packaged liquor and an
increased concentration of licences held by just a few businesses.[89]
3.147
The Alcohol and Other Drugs Council of Australia detailed the link
between outlet density and the increase in violence and assaults.[90]
Others proposed that the substantial and wide-ranging effects of liquor stores
on alcohol-related harms may have been underestimated in the literature and by
policy makers.[91]
3.148
The NAAA contend that there is a need for national guidelines on alcohol
outlet density and opening hours. They consider there is a lack of cohesive
policy guidance among liquor licensing agencies, planning departments and local
government over the relationship between alcohol outlet density, opening hours
and alcohol-related problems and on how this relationship should inform
decision making.[92]
Promotion
3.149
A number of concerns were raised regarding the promotion of alcohol to
younger people and the contribution of these strategies to the growing harms of
alcohol and the risk of FASD.
3.150
The American Medical Association (AMA) has noted the changing
communications landscape and the greater exposure to alcohol marketing that
occurs across a range of technologies. They note that:
This is particularly true of young people who use digital
technologies and are exposed to alcohol marketing on mobile phones, online
video channels, interactive games, and social networks such as Facebook and
Twitter. Marketing of alcohol is increasingly sophisticated and
multidimensional, integrating online and offline promotions with the
sponsorship of music and sporting events, the distribution of branded
merchandise, and the proliferation of new alcoholic brands and flavours.
3.151
A number of submitters expressed concern at the marketing techniques
being employed by some sectors of the alcohol industry.
3.152
For example, the NAAA referred to the range of products and promotions
which are directly designed to appeal to young people.[93]
3.153
The McCusker Centre for Action on Alcohol and Youth (McCusker Centre) expressed
apprehension about the growing range of alcohol products which appear to be
designed, packaged and promoted specifically for young people and for young
females in particular.[94]
They noted a range of promotions where
the alcoholic beverage and the associated give-aways appear specifically
targeted to teenage girls or young women:
… they taste sweet, they come in a range of bright colours
and we have seen examples where lip gloss or nail polish are offered as gifts
with purchase.[95]
3.154
As a peak body the AHAWA have adopted a strong position against what it
considers to be irresponsible marketing promotions. They stated that retailers
offering these types of promotions were in the minority, and emphasised that
the AHAWA had raised with the Western Australian government instances where
product marketing was inappropriate.[96]
Our very public, strong view is that alcohol is a product of
adult choice. It is a drug. It is a drug of adult choice that needs to be regulated
and sold responsibly. If we do not sell it responsibly and ensure that we do
that in an effective manner, we will ultimately lose the right of the privilege
to dispense and sell that product. So we need to take a commercial and
responsible approach to it as well as a community and social approach.[97]
3.155
The advertising, marketing and promotion of alcohol are regulated by the
Alcohol Beverages Advertising Code. This is a quasi-regulatory system for
alcohol advertising whereby guidelines for advertising have been negotiated
with government, consumer complaints are handled independently, but all costs
are borne by industry.
3.156
It would appear this regulatory approach has not kept pace with the
options for alcohol marketing across new technologies. This is concerning,
given that marketing across new technologies and social media can target a
younger audience.
3.157
In September 2012 the AMA conducted a national summit on alcohol
marketing to young people. The AMA summit featured public health and
non–government organisations, law enforcement bodies, youth associations and
experts in alcohol and leading academics and researchers in the field.
3.158
The AMA summit recognised the emergence of new technologies and how
these were being utilised in new forms of marketing techniques that may not be
adequately covered by existing regulations. It concluded that there were
significant issues with how alcohol is marketed to young people, across
traditional advertising forms as well as newer digital technologies and social
media. In relation to the regulatory approach to alcohol advertising, it found
that:
The current policy regime is totally inadequate in protecting
young people from continued exposure to alcohol marketing. Industry
self-regulation is deeply ineffective and has failed. It is time for a robust
regulatory response that is independently and impartially applied, and which
carries the force of meaningful sanctions.[98]
3.159
A key outcome of the AMA summit was the recommendation for an analysis
of alcohol advertising and promotion directed at children and teenagers. The
Summit found that a comprehensive inquiry into the marketing and promotion of
alcohol should:
- include a substantial
focus on marketing techniques in digital platforms and in new and emerging
social media, and the extent to which these platforms and media are targeted;
- include a focus on
alcohol industry sponsorship of sporting and youth cultural and music events
and alcohol promotion targeting tertiary education students; and
- use its powers to
require leading alcohol companies and their communications agencies to table
their annual expenditure, and to provide research and planning documents on
alcohol promotion and marketing.[99]
Labelling
3.160
The issue of advisory or warning labels on alcoholic beverages was
raised by a number of witnesses and the topic continues to attract media
attention.[100] Industry advocates
cited the success of the voluntary scheme currently in place and disputed the
need for a mandatory approach to warning labels.
3.161
Others disputed this claim and provided detailed research on the
importance of warning labels as a public education tool targeting not just FASD
prevention, but a range of alcohol related health consequences.
Current voluntary labelling initiatives
3.162
In the 2011 review of food labels, Labelling Logic: Review of Food
Labelling Law and Policy (2011) (the Blewett Report), four key
recommendations were made to the Commonwealth Government concerning alcoholic
beverage labelling and packaging. This included the following two
recommendations:
- Recommendation 24:
That generic alcohol warning messages be placed on alcohol labels but only as
an element of a comprehensive multifaceted national campaign targeting the
public health problems of alcohol in society.
- Recommendation 25:
That a suitably worded warning message about the risks of consuming alcohol
while pregnant be mandated on individual containers of alcoholic beverages and
at the point of sale for unpackaged alcoholic beverages, as support for ongoing
broader community education.[101]
3.163
The Legislative and Governance Forum on Food Regulation (the Forum),
which comprises of Ministers from the Commonwealth, States and Territories and
New Zealand, agreed that warnings about the risks of consuming alcohol while
pregnant should be pursued.
3.164
The Forum noted the voluntary steps that industry had taken in this area
and gave industry the opportunity to introduce appropriate labelling on a
voluntary basis for a period of two years before deterring whether to regulate
for this change.[102]
3.165
The voluntary labelling period commenced in late 2011 and is to last for
two years. Some parts of the industry claimed a wide uptake of the labels. The
Distilled Spirits Industry Council of Australia (DSICA) told the Committee that
they were anticipating approximately 75 per cent of their members’ containers to
be labelled by the end of 2013.[103]
3.166
However, an independent audit of the DrinkWise Australia warning labels
has found that a full year after the voluntary initiative was launched, fewer
than one in six (or 16 per cent) of alcohol products carry the consumer
information messages.[104]
3.167
Currently there is a range of different symbols, advisory labels and
warning labels that can appear on alcoholic beverages. There is no direction as
to the size, colouring, positioning or prominence of the labels. These
decisions are at the discretion of the manufacturer. The labels or icons appear
on the beverage container itself and not on any associated packaging or
promotional material or advertising of the beverage.
3.168
A number of the symbols and labels have been developed by DrinkWise
Australia, a not-for-profit organisation which describes itself as being
focused on promoting change towards a healthier and safer drinking culture in
Australia. The alcohol producers who contribute to DrinkWise Australia account
for approximately 80 per cent of all alcohol sales by volume in Australia.[105]
3.169
Some voluntary labels refer people to the DrinkWise Australia website
which provides information on topics such as:
- Kids and Alcohol
Don’t Mix;
- Is Your Drinking
Harming Yourself or Others?; and
- It is Safest Not to
Drink While Pregnant.[106]
3.170
The WFA, the Brewers Association of Australia and the DSICA indicated
their support for the work of DrinkWise Australia and the voluntary approach to
labelling.[107]
3.171
While supportive of warning labels on alcoholic beverages, most
submitters to the inquiry were critical of the voluntary labelling scheme.
Generally it was regarded as having a low uptake and featuring labels that were
largely hidden from sight and designed for minimum exposure.
3.172
The Department of Health and Human Services, Tasmania asserted that many
academics and experts in the Public Health and alcohol and other drugs field
consider these industry warnings weak in the messages they portray around
alcohol.[108]
3.173
Even DrinkWise Australia refer to the labels as consumer information
messages, rather than warnings. Further, the most commonly occurring DrinkWise
Australia message is the innocuous and uninformative slogan ‘Get the
facts—visit DrinkWise.org.au’.
3.174
A May 2012 research paper into alcohol warning labels provides a
comprehensive review of responses to the DrinkWise Australia labelling from
leading researchers across a range of fields. It provides an extensive analysis
of the failings of the DrinkWise Australia labels and concludes that:
If alcohol warning labels are to have any chance of spurring
positive changes in drinking behaviours, then the messages they convey need to
be, firstly, arresting (similar to tobacco warning labels) and, secondly,
varied reasonably frequently. It is debatable whether the DrinkWise Australia
consumer information messages meet the first of these criteria.[109]
3.175
Similarly a FARE commissioned survey found the DrinkWise Australia labels
to be lacking and the voluntary scheme to be ineffective. Participants in the
survey were asked to select the best labels from DrinkWise Australia and FARE against
a set of criteria including:
- noticeability;
- comprehensibility of
the message;
- capacity to raise
awareness and prompt conversations about alcohol-related
harms; and
- impact on alcohol
consumption.[110]
3.176
It was found most DrinkWise Australia messages have low visibility, with
98 per cent of the messages taking up less than 5 per cent of the label or face
of the packaging.[111] The FARE developed labels
were considered superior on all measures. Figures 3.3 and 3.4 provide examples
of the labels from DrinkWise Australia and FARE.
Figure 3.3 DrinkWise Australia consumer information label
Source Foundation
for Alcohol Research and Education, Alcohol Health Labelling: Community perceptions
of the FARE and DrinkWise model alcohol labels, 2011, p. 11.
Figure 3.4 FARE health warning labels
Source Foundation
for Alcohol Research and Education, Alcohol Health Labelling: Community perceptions
of the FARE and DrinkWise model alcohol labels, 2011, p. 13.
3.177
FARE has criticised the format of the voluntary labels in use, claiming
they ambiguous, contain a weak message, and are small in size and difficult to
locate on the alcohol product. As the labels are voluntary, FARE notes there is
no certainty that all alcohol producers will adopt these labels.[112]
Mandating health warnings
3.178
Various representatives from the alcohol industry claimed that there is
no evidence to demonstrate that warning labels on alcohol beverages are
effective.
3.179
Gordon Broderick from DSICA stated that an extensive survey of the
situation in America shows that labelling has raised awareness but has not made
any impact on behaviour.[113]
3.180
The Wine Research Institute of Australia supported this by citing the
results of studies undertaken after the introduction of alcohol warning labels
in the US. These showed an increase in awareness of the label but did not show
changed consumer behaviour particularly in ‘at risk’ groups.[114]
3.181
The WFA and the DSICA suggested that warning of the dangers associated
with alcohol during pregnancy has the potential to alienate and worry women who
may be at very low risk.[115] The WFA raised concerns
that advisory labels such as those prepared by FARE could negatively impact on pregnant
women and stated that:
There is also the possibility of some pregnancies ending in
termination before actual harmful effects of alcohol have been adequately
assessed. Some expectant mothers may be so concerned or in such a state of
depression and guilt as to terminate the pregnancy based on their expectation
that the foetus has been damaged.[116]
3.182
WFA’s claims of possible negative effects of warning labels resulting in
terminations or pregnant women experiencing undue anxiety and guilt are based
on anecdotal stories, and misrepresentation of some media commentary.[117]
Further, graphic warnings indicating the harm caused by tobacco to the
developing fetus have not ceased due to any claimed anxiety caused to pregnant
women or claims of terminations due to fears caused by warnings.
3.183
The DSICA expressed concern that labelling could go too far:
… if there were to be mandatory labelling, those people who
oppose the industry would want to go down the tobacco road. The lettering would
not be big enough; the wording would not be big enough; the pictures would not
be horrific enough; and before we know it we would have our labels looking like
a bottle of angostura bitters or a page out of the white telephone book.[118]
3.184
The Committee notes that each of these claims against mandated warning
labels claims has been clearly refuted and substantial evidence cited to the
contrary in FARE’s detailed paper ‘Booze before Babies—Analysis of alcohol
industry submissions to the FASD inquiry’. The FARE paper cites international
moves to regulate warning labels in Europe and acknowledgement by the United
Kingdom Department of Health that ten years of self-regulation has not resulted
in an effective labelling program.[119]
3.185
Alcohol industry advocates claim that warning labels are ineffective in
changing behaviours. International and FARE research finds that the limited
alcohol warnings of the type favoured by industry are indeed weak and
ineffective.
3.186
Contrasting this, FARE cite substantial evidence confirming the
effectiveness of warning regimes when that regime is based on best practice
principles.[120] According to this
research, health warning labels can create behaviour change and the labels
should:
- be mandatory so the
label appears on all products
- be applied
consistently across all products so they are visible and recognisable
- be developed by
health behaviour and public health experts
- include the text
‘HEALTH WARNING’
- involve rotating
messages on a range of harms, including during pregnancy and
- be accompanied by a
national public education campaign.[121]
3.187
Similarly, a wealth of research confirming the effectiveness of warning
labels as part of an broader alcohol health campaign is reviewed in the
Parliamentary library paper ‘Alcohol Warning Labels – do they work?’.[122]
3.188
The evidence reviewed in these papers is consistent with further
evidence provided by a number of other submitters, and finds warning labels
effective in raising awareness and changing consumption patterns.
3.189
The Uniting Church in Australia stated that a comprehensive review of
the effects of alcohol warning labels concluded the use of warning labels did
raise awareness.[123]
3.190
The McCusker Centre provided evidence that multiple expert groups have
recommended health warning labelling of alcohol products with clear, specific
messages as an important component within a wider strategy to raising awareness
of the risks to health of alcohol consumption. Warning labels related to the
risks of alcohol consumption during pregnancy have been specifically
recommended as part of this approach.[124]
3.191
The Women’s Christian Temperance Union made the point that poisons are
labelled and prescription drugs have leaflets explaining their effects and
possible side effects. They stated that the public has the right to the latest
information regarding alcohol and the health of a developing fetus.[125]
3.192
The AMA advocates that:
Alcohol products should have simple and clearly visible
front-of-pack labels that warn of health risks of excessive consumption, and
urge pregnant women not to consume alcohol.[126]
3.193
The Tasmanian Department of Health and Human Services considers that
mandatory labelling of alcohol with generic health warnings and specific
pregnancy warning messages is urgently needed. They believe that this will help
to change the perceptions of the community about alcohol and ensure that
alcohol is not considered an ‘ordinary’ household product.[127]
3.194
NAAA considers that it is not appropriate to leave policy development in
this vital area to the alcohol industry. They advocate Government adopting the
recommendations from the Blewett Report and the many other expert reports which
support warning labels.[128]
3.195
Along with others, NAAA argues it is critical that any implementation of
health warning labels is accompanied by a comprehensive public education
campaign, using various forms of media to reinforce the messages of the health
warning labels.[129]
Committee Comment
3.196
It is the view of this Committee, informed by experts and the response
of the alcohol industry itself, that current regulation and voluntary programs
regarding alcohol labelling are not functioning effectively and are unlikely to
ever do so given the commercial realities of the alcohol industry.
3.197
Consequently the Commonwealth Government must mandate greater controls
to ensure responsible attitudes to alcohol labelling and sales, and mechanisms
to reduce the easy access to alcohol that promotes harmful levels of drinking.
3.198
In particular, the issue of warning labels on alcoholic beverages
advising women not to drink while pregnant was a contentious one through the
inquiry.
3.199
The Committee was frustrated by some within the alcohol industry. While
claiming to support responsible marketing and sales of alcohol, some industry
advocates provided widely inflammatory and unfounded claims to the Committee.
3.200
The Committee considers that Australians have a right to be fully
informed around the impact of choices they make to consume alcohol and it is
the role of governments to employ a range of mechanisms to ensure public health
messages are widely disseminated.
3.201
Research indicates a low level of public awareness regarding the risks
posed by prenatal exposure to alcohol. Providing warnings on alcohol products
is an essential step in raising awareness amongst women, and fostering
community support for women’s decision to not drink while pregnant.
3.202
While some parts of the alcohol industry claim to support labels
advising women not to drink while pregnant, the Committee notes that large
sectors of the industry have not adopted the voluntary labelling scheme.
Furthermore, in many instances where a warning icon is present on the label,
the icon is small, in faint colours, and placed in the least visible part of a
label. Some labels took up less than 0.1 per cent of the container’s surface
area.
3.203
The Committee disputes wild claims made by some in the alcohol industry about
early terminations due to women’s fears of having consumed alcohol while
pregnant. There is no credible evidence to support such claims.
3.204
Conversely, there is a volume of credible evidence to indicate that
health warnings on alcohol containers are effective as part of a wider strategy
to raise awareness and enable people to make informed choices around their
consumption patterns.
3.205
Recognising the range of harms that can be attributed to alcohol, the
Committee recommends that a comprehensive warming label regime reflect this
range of harms. FASD disabling babies is just one serious consequence of irresponsible
alcohol consumption. In addition, there are a range of other health
consequences and social harms which may be attributed to alcohol and patterns
of alcohol consumption. Further, best practice research indicates that a
rotating range of health warnings are more effective in raising awareness.
3.206
The Committee recommends that the appropriate format and design of
health warning labels be determined by 1 March 2013. This will enable the
alcohol industry to be fully prepared for the implementation of mandated health
warning labels by 1 January 2014. The introduction of the labelling scheme
should be accompanied by a comprehensive public awareness campaign.
Recommendation 10 |
|
The Committee recommends that the Commonwealth Government
seek to include health warning labels for alcoholic beverages, including a
warning label that advises women not to drink when pregnant or when planning
a pregnancy, on the Legislative and Governance Forum on Food Regulation’s
December agenda.
The Commonwealth Government should determine the appropriate
format and design of the labels by 1 March 2013, to assist the alcohol
industry in adopting best practice principles and preparing for mandatory
implementation. |
Recommendation 11 |
3.207 |
The Committee recommends that the Commonwealth Government
mandate the range of health warning labels for alcoholic beverages as decided
by the Legislative and Governance Forum on Food Regulation.
- The
warning labels should consist of text and a symbol and should be required to
be displayed on all alcohol products, advertising and packaging by 1 January
2014;
- The
minimum size, position and content of all health warning labels should be
regulated; and
- The
introduction of mandated warning labels should be accompanied by a
comprehensive public awareness campaign.
|
3.208
Anecdotal evidence was received regarding trends to mix high caffeine
drinks with alcohol, sales of alcohol to under-age drinkers and service of
alcohol to intoxicated customers. The range of harms caused across the
community from binge drinking amongst young people and other forms
irresponsible alcohol consumption is concerning and must be addressed.
3.209
A review of regimes around the availability, pricing and promotion of
alcohol is essential to reduce the wider harms of alcohol as well as to
eliminate FASD in Australia.
3.210
A more comprehensive review of this nature is beyond the capacity of this
Committee and the scope of the inquiry terms of reference. While actions to eliminate
FASD in our population must commence immediately, studies on broader alcohol
reform are needed and appropriate regulatory responses developed.
3.211
It is the clear view of this Committee that widespread reforms are
required to address the harms of irresponsible alcohol consumption and that
these reforms are best achieved through public information accompanied by
appropriate controls on alcohol pricing, availability and marketing.
3.212
Accordingly, the Committee recommends that two independent studies are
commissioned by the Commonwealth Government, and that the findings of these
studies are used to inform a National Alcohol Sales Reform Plan.
3.213
The first study should consider how the availability and pricing of
alcohol is contributing to changes in alcohol consumption patterns across different
sectors of the population and in different regions. The Committee notes that
ANPHA is reporting on a minimum pricing of alcohol, and the study should take
this work into account.
3.214
The second study should consider marketing strategies for alcohol. The
Committee is concerned that changes in technology may be enabling forms of
alcohol advertising and promotion that are not addressed by existing
regulations. The Committee recommends a study into current alcohol marketing strategies,
with a focus on the marketing of alcohol to young people through the use of new
technologies.
3.215
In addition, this study should focus and the relationships and impact of
linking on the sport sponsorship and success with alcohol consumption.
3.216
These two studies should provide the platform for the Commonwealth
Government to develop a National Alcohol Sales Reform Plan. These reforms,
while part of a broader plan to reduce harms of alcohol, will form a critical
element in the national FASD prevention strategy.
Recommendation 12 |
3.217 |
The Committee recommends that the Commonwealth Government
commission an independent study into the impacts of the pricing and
availability of alcohol and the influence of these factors in the changing
patterns of alcohol consumption across age groups and gender.
The study should be completed by 1 October 2013. |
Recommendation 13 |
3.218 |
The Committee recommends that the Commonwealth Government
commission an independent study into the impacts and appropriateness of
current alcohol marketing strategies directed to young people. The study
should have regard to these strategies and the volume and frequency of
alcohol consumption amongst young people, the links being made between
alcohol and sport, the efficacy of efforts to promote responsible drinking behaviours,
and the adequacy of current regulations to respond to marketing through
digital platforms such as the internet, social media and smartphones.
The study should be completed by 1 October 2013. |
Recommendation 14 |
3.219 |
The Committee recommends that, following the completion of
the study into the pricing and availability of alcohol and the study into
alcohol marketing strategies, the Commonwealth Government develop a National
Alcohol Sales Reform Plan aimed at reducing the harms caused by irresponsible
alcohol consumption across Australia. |