Chapter 2 - Sources and beneficiaries of premature sexualisation of children in the media
2.1
Term of reference (a) requires the committee to:
...examine the sources and beneficiaries of premature
sexualisation of children in the media...
2.2
Term of reference (a) is premised on the assumption that sexualisation
of children is occurring through exposure to certain content in modern media.
However, this assumption was vigorously challenged by advertising and media
representatives and proponents, who pointed to the paucity of evidence around
the issue and the operation of the systems that are in place to regulate
standards.[1]
2.3
The committee treated these claims with a degree of scepticism. While it
may be acknowledged that the research into this area has not established clear
causal relationships between particular types of advertising, media or products
and earlier sexualisation of children, the cumulative affect of this material
seems to be beyond dispute.
2.4
The suggestion that any person or party is deliberately benefiting from
the sexualisation of children is clearly one with implications of the utmost
seriousness. Issues that raise questions of child welfare understandably give
rise to vigorous debate, where both sides often claim to have the best
interests of children at heart. However, the committee believes that the
question of who or what are the 'beneficiaries of sexualisation' must start
with the recognition that sexualisation of children is essentially an aspect of
the increasingly pervasive and targeted forces of commercialism in modern
Australian and, indeed, Western society.
2.5
Children and their needs and wants together are a distinct and valuable
market that is able to be legitimately targeted and commercially exploited by
players acting by the rules and otherwise lawfully in the free market. The
targeting of children by commercial interests has expanded greatly in terms of
both the number of products and services and the sophistication and aggression
of marketing. However, no submissions were received, for example, arguing that
children should be entirely quarantined from commercial interests; nor was
there any suggestion that influences beyond the normal commercial imperatives
were at work.
2.6
Analysis of the codes in place to govern children's advertising and
content reveal that there is recognition that the welfare and protection of children,
as well as the authority and rights of parents in relation to their children,
warrant the imposition of special rules to constrain the commercialisation of
children and childhood. An aspect of this is specific regulation to ensure that
children's advertising and programming is free of inappropriately sexual themes
and content. In practice, however, such regulation of children's advertising
and content is often profoundly undermined by the realities and imperatives of
commercial practices more broadly.
2.7
An example of this may be seen in the Australian Association of National
Advertisers (AANA) Code for Advertising, Marketing and Communications to
Children (the Children's Code). The Children's Code requires that advertising
to children must not 'undermine the authority, responsibility or judgement of
parents or carers' and 'must not contain an appeal to children to urge their
parents or carers to buy a product for them'.[2]
However, the extent to which such aims are met and are achievable is highly
doubtful. Children's advertising frequently exploits and imparts values that do
undermine parental authority and judgement.
2.8
The requirement to avoid any explicit appeal to parents to purchase a product
would also seem to deny the logic of advertising and the realities of family
life. If a product is successfully promoted to children as desirable, and their
parents control the means to acquire that product, then there is an implicit or
de facto appeal to children to urge parents to buy a product or service for
them.
2.9
On this issue, Ms Barbara Biggins, Honorary Chief Executive Officer,
Australian Council on Children and the Media, submitted:
Our members, and others in the community, we perceive, are increasingly
concerned about the growing pressures of marketing aimed at the young, the
pressures for children to be consumers at a very young age. These pressures are
causing children to be in conflict with their parents over purchases and also
in conflict with their parents’ values.[3]
2.10
Regulation of children's advertising is also undermined by the strongly
sexual character of all-pervasive adult advertising and media. Much of the
evidence put to the inquiry confirms this analysis. Submitters and witnesses continually
expressed concern about children's exposure to sexual and objectifying images
in the media and society more broadly.
2.11
The heavy use of sexual imagery and concepts in advertising might
suggest a level of community and commercial indifference to potential harms
that might be done to children and adults, but it does not represent the deliberate
sexualisation of any group in society. Rather, it reflects the reality of what
types of advertising are likely to be successful in the market and to generate profits
and returns for business owners, shareholders and society more generally. Dr Sally
Cockburn, who appeared before the committee in a private capacity,[4]
observed:
I do not believe anyone is maliciously setting out to
prematurely sexualise young people, but they are realising, ‘If we...[employ
sexual imagery and concepts], this [product] is selling.’[5]
2.12
It also reflects an increasing willingness on the part of adult society
to openly acknowledge the range of services and products that they may wish to
purchase. Advertising for pornography, a range of sexual services and
sex-related medical treatments, for example, are now ubiquitous.
2.13
As was observed in Chapter 1, the committee does not consider that the
terms of reference of the inquiry were intended to encompass a commentary or
the passing of judgement on what constitutes acceptable taste in advertising or
content, particularly in relation to adult markets. It must be recognised that,
within the bounds of regulation and the law, individual and parental choice,
expressed through consumer decisions, are ultimately the factors that dictate
corporate behaviour and commercial standards:
One of the commercial realities of magazines, television and
radio in the commercial sphere is that they rely on ratings to sell advertising.
If people do not watch it, they will not keep that programming on. Voting with
the remote is the best way to change commercial programming.[6]
2.14
With reference to merchandise and products produced for and directed at
children, the committee observes that the role of parents is even more
definitive, and increasingly so as the age and ability of children to make
purchasing decisions for themselves decreases. On the issue of merchandise such
as padded bras for girls well under the age of 10, Ms Amelia Edwards, who
appeared before the committee in a private capacity, noted:
If parents do not buy sexualised material, if they do not buy
inappropriate material for their children, then the companies are not going to
produce it because it is not going to return a profit for them.[7]
2.15
The committee notes that children 12 years of age and younger rarely
have the means to make purchases of goods and services independently of
parental supervision, if not approval, of those purchases. Dr Cockburn observed
that, as children do not in reality represent an autonomous market or
purchasers, a case can be made for avoiding, where possible, exposing children
to any advertising whatsoever:
I am in favour of all children’s television programming having
no advertisements whatsoever. I do not think children should be encouraged to
purchase anything, because they do not have that much pocket money anyway.[8]
2.16
Based on the recognition that parents have a pivotal role to play, a
number of recommendations in this report seek to improve parents' ability to
make and effect meaningful choices about the material that their children are
exposed to, based on their own assessment of what is or is not suitable and
appropriate. These include the possibility of changes to children's viewing
time zones, changes to children's content requirements for broadcasters, classification
codes for children's magazines and the development of a children's television
channels. The committee believes that if parents are able to make and effect
decisions about the material that their children 'consume' then commercial
interests that adequately reflect prevailing community standards and tastes
will be the deserving beneficiaries.
2.17
In addition, the committee acknowledges that commercial interests
commonly seek to test the boundaries of regulations and standards in order to
seek advantage in the market. For this reason, recommendations made in later
chapters seek to improve regulatory complaints systems to ensure that parents
and other individuals are able to contribute to the setting and application of
the prevailing community standards by which media standards are judged.
2.18
Finally, the committee has made recommendations going to implementation
of comprehensive sexual health and relationships education programs for children,
but which acknowledge, promote and facilitate the central role that parents
have to play in their children's physical, emotional and social sexual
development, and which address media uses and representations of sexual imagery
and themes. Whilst recommendations for more or better education can at times
appear trite and formless, they are fully worthwhile and to the point in the
context of the conclusions drawn above.
2.19
Improving the ability of children and parents alike to assess,
contextualise and discuss potentially sexualising imagery in the media is
likely to lead to better decision making and the ability to counteract the
commercial and profit imperatives that largely shape advertising and media
content.
2.20
The committee observes that children are certainly more visibly
sexualised in terms of the media to which they are exposed. This basic
assumption was not challenged by any evidence received, and is based on
recognition of the increasing targeting of products to child-related markets
and the greater exposure of children to information via the many available
media forms, and particularly the internet. However it would be a mistake to
equate these influences with actual harm.
2.21
It is important not to fall into the trap of assuming a golden age of
childhood at some unspecified time in history. As society comes to terms with
the extent of child abuse in churches, schools and some social welfare services
in the past, for example, it can be argued that children are in fact much safer
than they have ever been. Similarly it would be a mistake to assume that
ignorance, in the sense of not being exposed to sexual imagery or information,
can be equated with innocence.
Children's magazines
2.22
While all media target children both in their content and through
advertising, children's magazines, particularly those published for girls
between the ages of 12 and 16, were identified in submissions as a particular source
of sexualisation of children.
2.23
One aspect of this was the inclusion of sealed sections in these
magazines, which often include question-and-answer columns on sexual matters. Ms
Julie Gale, Director, Kids Free 2B Kids, identified this material as
inappropriate due to the possibility of such material being viewed by children below
or at the bottom of a magazine's intended reading-age range:
Take magazines for young girls. I have some examples...of what I
do not see as very appropriate to be in magazines that do not let parents know
the age group that they are appropriate for...There are 10-year-olds and
nine-year-olds reading this magazine. Is there anything there that says who is
benefiting from this anal sex?[9]
2.24
Children were also thought to be influenced by the amount of sex-related
content throughout such magazines—such as in articles on boys or celebrities
and advertisements for clothes and mobile-phone screensavers—as well as the
stereotypical images of girls and young women in advertising and content. This
material is considered further in Chapter 4, which considers the regulation of
print media.
2.25
However, in response to such claims, publishers of children's magazines claimed
that they are overwhelmingly positive in terms of the messages and influences
they have on their young readers. The publishers of Girlfriend magazine
described the magazine as containing carefully selected age-appropriate
material that sought to interest, inform and empower young girls.[10]
Mrs Nicole Sheffield, Publisher, Pacific Magazines, observed:
...we understand the role that the information and entertainment
we provide...[children] with has. We take that role seriously. In no way do we
support the sexualisation of children and never have done.[11]
2.26
Mrs Sheffield advised that Girlfriend magazine employs a number
of campaigns and editorial strategies that promote healthy body image and self
respect. For example, it had run a self respect campaign, an anti-bullying
campaign and a national compliments day; and the magazine runs regular advice
columns on mental and physical health as well as regular 'reality check'
notices, which are notes that draw attention to such things as the practice of
airbrushing or touching-up photos.[12]
Mrs Sheffield concluded:
Ultimately, a large part of our magazine is about empowering
girls to make a difference, to be involved, to have self-respect and to think
about environmental causes. Girlfriend was the first glossy magazine in
this country to be printed on recycled paper. For the teen market to be part of
that felt very worthwhile. For us it is about getting them involved.[13]
2.27
On the particular issue of the portrayal of girls and women in Girlfriend
magazine, Mrs Sheffield stated that, although the magazine does reflect
popular and celebrity culture:[14]
We have age-appropriate models in Girlfriend magazine. A
lot of them are models, particularly if you are referring to the fashion pages,
because they are modelling those clothes. But we promote healthy lifestyle,
healthy eating and healthy body image. In the magazine and the editorial that
we write, the role models are not about getting this figure or getting this
weight. We never run diets.[15]
2.28
The committee accepts that the editorial content of Girlfriend
magazine undoubtedly offers positive messages to young readers about body
image, self respect and personal relations, which have been considered as issues
relevant to sexualisation under the terms of this inquiry. That is to be
welcomed.
2.29
However, the committee observes that, on the basis of a fair examination
of a number of issues of Girlfriend, it does not present a range of body
image types. Images of models and readers throughout the magazine in both the
advertising and the content sections conform to a narrow range of body types
and appearances that are directly comparable to the presentation of women in
women's magazines. It is perhaps unsurprising that, considering the commercial thrust
of the magazine, it employs very similar styles and imagery to the women's
magazines that its readers might progress to as they age and mature.
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