Skip to main content
Bulletin of the World Health Organization logoLink to Bulletin of the World Health Organization
. 2023 Oct 31;102(1):58–64. doi: 10.2471/BLT.23.290219

Addressing tobacco industry influence in tobacco-growing countries

Lutte contre l'influence de l'industrie du tabac dans les pays producteurs

Lucha contra la influencia de la industria tabacalera en los países productores de tabaco

معالجة تأثير صناعة التبغ في الدول التي تزرع التبغ

解决烟草行业对烟草种植国的影响的问题

Борьба с влиянием табачной промышленности в странах, выращивающих табак

Raphael A Lencucha a,, Nuntavarn Vichit-Vadakan b, Roengrudee Patanavanich c, Rob Ralston d
PMCID: PMC10753285  PMID: 38164327

Abstract

Protecting policy-making from tobacco industry influence is central to effective tobacco control governance. The inclusion of industry actors as stakeholders in policy processes remains a crucial avenue to corporate influence. This influence is reinforced by the idea that the tobacco industry is a legitimate partner to government in regulatory governance. Addressing the influence of the tobacco industry demands a focus on the government institutions that formalize relationships between industry and policy-makers. Industry involvement in government institutions is particularly relevant in tobacco-growing countries, where sectors of government actively support tobacco as an economic commodity. In this paper, we discuss how controlling tobacco industry influence requires unique consideration in tobacco-growing countries. In these countries, there is a diverse array of companies that support tobacco production, including suppliers of seeds, equipment and chemicals, as well as transportation, leaf buying and processing, and manufacturing companies. The range of companies that operate in these contexts is particular and so is their engagement within political institutions. For governments wanting to support alternatives to tobacco growing (Article 17 of the Framework Convention for Tobacco Control), we illustrate how implementing Article 5.3, aimed at protecting tobacco control policies from tobacco industry interference, is fundamental in these countries. Integrating Article 5.3 with Article 17 will (i) strengthen policy coherence, ensuring that alternative livelihood policies are not undermined by tobacco industry interference; (ii) foster cross-sector collaboration addressing both tobacco industry interference and livelihood development; and (iii) enhance accountability and transparency in tobacco control efforts.

Introduction

In 2023, the World Health Organization’s (WHO) campaign World No Tobacco Day focuses on the importance of finding alternatives to tobacco growing.1 The campaign “calls on governments … to step up legislation, develop policies and strategies, and enable market conditions for farmers to shift to food crops that would provide them … with a better life.” This campaign stems from Article 17 of WHO’s Framework Convention for Tobacco Control (FCTC) which requires signatories to support alternatives to tobacco growing.

Tobacco growing is largely detrimental to ecosystems, the livelihoods of farming households, and takes up valuable agricultural land that could be used for food-based crops.2 Despite these known harms, tobacco remains a prominent economic commodity for many governments. The difficulty in promoting alternatives is, in part, due to the tobacco industry's influence on government policy.35

Research on the commercial determinants of health illustrates that industry employs predictable strategies to protect their core business against government regulation.6 Common strategies include lobbying government officials and efforts to shape public perception through advertising, sponsorship and promotion. These strategies have influenced the public's perception of the relationship between government and market, often reinforcing the belief that less government regulation and more market freedom are beneficial for society.7 Another way that industry exerts influence is by integrating themselves into government institutions, aiming to shape public policy and programmes from within.8 These strategies are commonly used in countries where tobacco is cultivated, wherein the interests of the industry and government policies and programmes reinforce each other.

The tobacco industry has systematically promoted and leveraged the claim that tobacco contributes positively to economies. They use this claim to oppose tobacco control and position themselves as integral collaborators in government development strategies. This effort is exemplified by the support that industry provides to the International Tobacco Growers Association, an association advancing the narrative that tobacco control harms the livelihoods of tobacco farmers.9,10 As a result of these efforts, many governments view tobacco farming as a path to economic growth and improvement in rural livelihoods.11

An important entry point for industry influence is formal inclusion of the tobacco industry in institutions and government agencies. Through such inclusion, norms that support industry-government interactions become institutionalized. Such norms include the view that the industry contributes to economic development, employment, and is an important partner in government action.8,12 This institutionalization of norms serves to sustain and legitimize industry influence over government action. Efforts to protect government from industry influence, particularly health-harming industries like tobacco, requires a focus on industry involvement with government institutions. We know that industry seeks legitimacy in these spaces, because when governments perceive the industry as a legitimate stakeholder, the industry is able to influence policy agendas.

This integration of the industry within government institutions is particularly relevant in tobacco-growing countries. The pursuit of alternatives to tobacco cultivation, and more broadly, comprehensive tobacco control across sectors is hampered by the tobacco industry interests. In this paper, we aim to illustrate that controlling tobacco industry influence requires unique consideration in tobacco-growing countries. Subsequently, building on previous research, we argue that the effective implementation of Article 5.3 of the FCTC, that is, protecting tobacco control policies from tobacco industry interference in tobacco-growing countries, requires consideration of this unique context. We argue that Article 5.3 is foundational to the pursuit of Article 17 of the FCTC. Simultaneously, the implementation of Article 5.3 must be tailored to accommodate the intricacies of industry-government relationships within the distinct institutional contexts of these countries.

Tobacco-growing countries

Tobacco industry

In tobacco-growing countries, what constitutes the tobacco industry is unique. There exists a diverse array of companies supporting tobacco production. Therefore, these countries require unique considerations when examining and addressing the influence of the tobacco industry. The deep integration of tobacco industry interests along the supply chain serves as an important driver of pro-tobacco agendas.3,13

While cigarette companies drive the supply of tobacco leaf, the supply chain itself has several levels of companies that facilitate this supply. In addition to cigarette companies like British American Tobacco or Philip Morris International, there are companies that supply tobacco growers with essentials, including barn materials, tools and equipment, tobacco seeds, fertilizers, chemicals and packaging materials. There are also transportation companies and other services that support tobacco supply. Each of these suppliers has a vested interest in tobacco as an economic commodity. Often, these companies are interconnected along the supply chain through leaf-buying companies. Generally, between 70%–90% of smallholder tobacco farmers grow tobacco through contracts with leaf-buying companies.1418 These companies often procure and distribute inputs like seeds, fertilizer, pesticides and herbicides, and manage the transportation of leaf to market.19,20

Tobacco governance

Various ministries and agencies oversee the tobacco supply chain; however, their collective objective often leans towards maintaining tobacco as an economic commodity.3,21,22 A notable component of this institutional oversight is the presence of tobacco boards. These boards have diverse membership, including ministries of agriculture, commerce, finance, and industry as well as farmer associations.23 The boards are responsible for overseeing the grading scheme that determines the correlation between quality and price, managing the auction system and handling other aspects related to the sale of tobacco leaf. Importantly, these boards have an explicit mandate to promote, protect and maintain the production, sale and preparation for subsequent use and export of tobacco.24 The following statement from the Tobacco Board of Zambia illustrates how these institutions are committed to tobacco, and resist shifts away from tobacco growing:

“Any attempt to stop tobacco production will simply enhance poverty in the rural household[s] that depend on tobacco production for their livelihood.”

Included in the institutional network are other important agencies like government-supported research agencies with the mandate to support the technical aspects of tobacco growing, and commissions that have a mandate to regulate the production and marketing of tobacco.25 Importantly, this network of institutions harbours both formal and informal ties with the tobacco industry. For example, in Malawi, a major tobacco-growing country, the Agricultural Research and Extension Trust has two members of the agriculture ministry sitting next to one representative from the tobacco industry and four representatives from the Tobacco Association of Malawi, an association with linkages to the International Tobacco Growers Association.13,26 The interaction between government and industry is explicitly supported by these associations and agencies. For example, when addressing challenges posed by the expanding tobacco control movement, the chief executive officer of the Agricultural Research and Extension Trust mentioned “through continued interaction with various stakeholders we continue to get important feedback which helps us surmount the challenges and achieve our goals.”27

An important part of the challenge of preventing tobacco industry influence stems from the efforts of influential transnational tobacco companies to normalize their products and practices.28 For example, a leaked 10-year strategic plan from Philip Morris International in 2014 revealed that a key strategy for the company is to “build on existing, and foster future, stakeholder relations with international organizations, politicians … etc. to further expand communications and engagement opportunities.”29 Philip Morris International has funded the Foundation for a Smoke-Free World which is active in Malawi, partnering with the government to promote the idea that the tobacco industry can be a constructive player in seeking alternatives to tobacco cultivation. This intricate network of relationships between tobacco industry interests and the government not only sustains tobacco supply but also creates avenues for the industry to oppose tobacco control. The 10-year plan captures this dynamic explicitly, where Philip Morris International has outlined a primary objective: to “proactively increase our stakeholder base to equip us to better shape the future sales environment” and make it “politically unattractive to implement excessive sales regulations/restrictions … via engaging directly with policy-makers, media and third parties.”29 Similar initiatives can be observed at the International Labour Organization, where the major tobacco companies partnered to position themselves as champions of the anti-child labour movement. By doing so, they aim to gain favour with governments and attempt to portray themselves as legitimate partners.30 In countries, such as China and Thailand, where the government often exercises direct and comprehensive control over tobacco supply, transnational companies still maintain involvement at various stages along the supply chain. Box 1 presents the complex dynamic involved even when the Thai government has direct control over supply.

Box 1. The tobacco system in Thailand: state control, corporate influence and farmers' predicament.

In Thailand, the tobacco system consists of four major entities: the finance ministry, Tobacco Authority of Thailand, tobacco farmers and multinational tobacco companies. By law, the finance ministry governs the entire tobacco system, which includes the licensing and registration for tobacco growing, leaf purchasing, tobacco manufacturing, and the sale, import and export of tobacco products.31 Tobacco Authority of Thailand, a state-owned company under the finance ministry, is the only legal entity authorized to produce cigarettes in the country. Furthermore, Tobacco Authority of Thailand has developed a tobacco contract farming system and holds the authority to assign tobacco quotas to local farmers.32 While private tobacco companies are not allowed to grow or manufacture tobacco in Thailand, they engage in the process by collaborating with local curing firms and establishing their own contract farming system for leaf purchasing and export.

Multinational tobacco companies have a long-standing relationship with Thai tobacco farmers. The 1990–1992 action plan from Philip Morris explicitly aimed to identify Thai farmers’ groups and promote their membership in the International Tobacco Growers’ Association, a tobacco industry front group.33 Thailand Tobacco Growers' Association is currently a member of International Tobacco Growers’ Association. Moreover, Philip Morris International has donated to Thai tobacco farmers through various projects. In 2022, Philip Morris International funded to multiple tobacco farming associations for projects such as scholarship programs for the children of tobacco growers, and capacity-building training sessions for female tobacco farmers.34 Many of these tobacco farmer groups have opposed certain tobacco control measures, like tobacco taxes and ingredient regulations, citing economic repercussions.35

Notwithstanding the robust ties between the Tobacco Farmers’ Association and the multinational tobacco industry, nearly 60% of local Thai tobacco farmers have expressed a desire to cease tobacco cultivation. This sentiment stems from factors such as reduced tobacco cultivation quotas from the Tobacco Authority of Thailand, health and quality-of-life concerns, the effects of natural disasters, and a shift in the younger generation's reluctance to pursue careers in tobacco farming.36

These examples illustrate the intricate interweaving of government-industry relationships within the institutional frameworks in tobacco-growing countries. The examples further underscore that the dynamic isn't merely about the connections between government and industry, but also about the mandates that both validate and reinforce these relationships.37 These institutional dynamics influence the ability of health ministries to garner support from other sectors when implementing the multisectoral provisions of the FCTC. Considering tobacco industry interests as stakeholders in government decision-making enables commercial entities to influence governmental actions. In many tobacco-growing countries, FCTC-compliant tobacco legislation has largely stalled due to the influence of economic arguments and interests. The tireless efforts by champions within government and tobacco control advocates have faced resistance from the powerful economic sector, which consistently contends that tobacco plays a crucial role in the country’s economic development.21,38

Implementing Article 17

To safeguard the health and livelihoods of tobacco farmers, workers and their communities, Article 17 of the FCTC requires Parties to promote economically viable alternatives:

“Parties shall, in cooperation with each other and with competent international and regional intergovernmental organizations, promote, as appropriate, economically viable alternatives for tobacco workers, growers and, as the case may be, individual sellers.”

Implementing Article 17 aligns with several sustainable development goals (SDGs), including SDG 1 (reducing poverty), SDG 3 (improving health and well-being), SDG 5 (promoting gender equality), SDG 8 (ensuring decent work and employment), SDG 12 (encouraging responsible consumption and production) and SDG 15 (protecting life on land).39 Many governments have initiated programmes that support alternatives to tobacco growing. For example, in 2017, the Brazilian National Programme of Diversification in Tobacco-Growing Areas supported 11 000 families in six tobacco-growing states to diversify their livelihoods, and protect the health of tobacco farmers and natural resources in their communities. In 2000, Malaysia introduced kenaf as an alternative to tobacco. The Malaysian government provided financial incentives for inputs and mechanization support to kenaf growers, which increased the kenaf cultivation area to 1364 hectares, with a total of 928 kenaf growers, in 2020.40 Despite these efforts by countries where tobacco is grown, Article 17 remains one of the least-implemented obligations of the WHO FCTC.40

Implementing Article 5.3

The FCTC is distinctive among framework conventions in its recognition of the potential for an industry to undermine its objectives. Article 5.3 is a policy instrument within the FCTC, designed to protect policy-making from commercial and other vested interests of the tobacco industry.41 Within the general obligations of Article 5.3, the guidelines call on all departments within government to be accountable to the principles that protect tobacco control from industry influence. For instance, the guidelines state that “Any government branch (executive, legislative and judiciary) responsible for setting and implementing tobacco control policies and for protecting those policies against tobacco industry interests should be accountable.”42

Article 5.3, as a policy tool, comprises both procedural and substantive guidelines aimed at establishing and maintaining a specific model of regulatory governance. Procedural guidelines are those designed to shape the internal workings of government and how the government interacts with non-state actors. These guidelines are designed to limit interactions between public officials and the tobacco industry, ensuring any necessary engagements are conducted transparently and with accountability. Substantive guidelines are those used to affect policy outcomes such as regulation or subsidies43 and shape the political economy of the tobacco industry, including the removal of tax exemptions and restrictions on state investment in the tobacco industry. These procedural and substantive guidelines are designed to be complementary, with decision-making procedures supporting the pursuit of substantive goals such as reducing the supply of tobacco.

While Article 5.3 has been framed as the backbone of the FCTC,44 its relevance to the implementation of other articles within the treaty remains underexplored, especially for Article 17. Articles 5.3 and 17 are related in their focus on the political economy of tobacco production. As noted, the guidelines for the implementation of Article 5.3 require governments to avoid preferential treatment and introduce mechanisms to remove incentives to the tobacco industry.42 In relation to Article 17, these rules and tools apply to all actors along the tobacco supply chain, such as the trade associations and leaf buyers.

The status of Article 5.3 as a general obligation of the FCTC means that it applies to all sectors of government, with political institutions across trade, finance and agriculture subject to its norms, rules and procedures. The article contains procedures that are designed to shape how government, as a whole, interacts with the tobacco industry and also frames the use of other instruments. In theory, Article 5.3 should shape the use of other procedural instruments, such as stakeholder consultation, commissions and advisory committees, according to its normative goal of protecting policy-making from tobacco industry interests. Realizing the transformational potential of Article 5.3 has proved highly challenging.45 This challenge stems not only from the need to shift from established governance mechanisms and practices, but also from the deeply rooted institutional structures granting the tobacco industry formal access to government.8

To implement Article 5.3 in tobacco-growing contexts requires understanding the sites of connection between industry and government, as illustrated above. One starting point is the establishment of multisectoral coordinating mechanisms as required by Article 5.2 of the Convention. These coordinating mechanisms have important potential not only to shape the operations of all sectors of government in the implementation of FCTC provisions, but also to shift the norms of industry-government relations. Often these mechanisms illustrate existing tensions in the governance norms held by different sectors. In the Philippines, the Interagency Committee–Tobacco was created as part of the Tobacco Regulation Act of 2003 and is the sole body charged with implementing the Act.12 The Department of Trade and Industry, whose mandate has involved support for the tobacco industry, chairs the Interagency Committee–Tobacco. The committee also includes the National Tobacco Administration, which is mandated by law to promote the development of the tobacco industry on the agriculture side. Additionally, the Philippine Tobacco Institute, which represents the tobacco industry, is a part of thecommittee. The Philippine Tobacco Institute has filed suits against the Department of Health for their tobacco control efforts, leading civil society organizations to pursue a campaign to remove them from the Interagency Committee–Tobacco.46 The situation with the National Commission for FCTC Implementation in Brazil presents a nuanced parallel. While the health sector leads the commission, the inclusion of the ministry of agribusiness in the thirteen-ministry coordinating mechanism poses challenges to tobacco control efforts. Participants in a study on this national commission noted that the ministry of agribusiness worked closely with tobacco companies, with a mandate to support these companies.47 These examples illustrate, the potential of Article 5.3 to reorient industry-government relations towards supply and demand reduction. They also highlight the challenges that arise when government sectors view tobacco as an economic commodity.

Conclusion

Addressing the interactions between the tobacco industry and governments in tobacco-growing countries presents unique challenges. However, addressing these challenges is essential if governments are to effectively implement Article 17 and other provisions of the FCTC. To pursue Article 5.3, Parties need to understand the unique institutional landscape within tobacco-growing countries, especially where the industry interacts with government. Many industry actors that support tobacco production and who sit next to government representatives on agencies are not directly tobacco companies. The range of companies with a stake in tobacco growing is broad, and many of the companies interacting with government in relation to tobacco supply are generic agricultural suppliers that could contribute to the pursuit of alternatives to tobacco growing. The 2021 report, A multi-billion dollar opportunity: repurposing agricultural support to transform food systems, published by the Food and Agriculture Organization, the United Nations Development Programme and the United Nations Environment Programme, outlines how such agencies and other entities along the agricultural supply chain can be repurposed to pursue food systems transformation.48 The recommendations stem from problems associated with current food systems, including the erosion of environments and the concentration of economic benefit with large companies, leaving growers with meagre earnings or debt. These same conditions exist along the tobacco supply chain where farmers earn little to nothing, while cigarette companies generate massive profits.49,50 The 2021 report48 highlights that, even amid the complexities inherent in agribusiness systems, there exists a significant opportunity to leverage existing institutions and infrastructure to advocate for food systems that are more equitable, environmentally sustainable and community-focused.

Implementing Article 5.3 in tobacco-growing countries has important implications for controlling industry influence and transforming the political economy of tobacco supply. Mapping the industry's location and understanding its characteristics along the supply chain will be important for identifying which agricultural suppliers are not strictly tobacco companies, but currently have a stake in maintaining support for tobacco production. To shift such companies to other crops requires a shift in institutional mandates away from supporting tobacco growing. Mandates need to support alternatives to tobacco, and work with companies that currently aid agricultural production to support the pursuit of Article 17. These efforts to shift mandates and support alternatives to tobacco requires that leaf-buying companies, as well as those that process and manufacture tobacco, be excluded from governments' agenda-setting efforts from the outset. The fact that the tobacco industry is represented alongside government sectors serves to maintain the emphasis on tobacco as an important economic commodity.51

In conclusion, Parties to the FCTC need to disengage from the tobacco industry, including leaf-buying companies and other companies along the supply chain. By doing so, Parties should consider integrating Article 5.3 with Article 17 of the FCTC in the formulation of policies related to economically sustainable alternative livelihoods for tobacco farmers. The integration of Article 5.3 with Article 17 will (i) strengthen policy coherence that ensures alternative livelihood policies are not undermined by tobacco industry interference; (ii) support cross-sector collaboration, addressing both tobacco industry interference and the development of livelihoods; and (iii) enhance accountability and transparency in tobacco control efforts.

Competing interests:

None declared

References

  • 1.World No Tobacco Day 2023: Grow food, not tobacco [internet]. Copenhagen: World Health Organization Regional Office for Europe; 2023. Available from: https://www.who.int/europe/news-room/events/item/2023/05/31/default-calendar/world-no-tobacco-day-2023--we-need-food--not-tobacco [cited 2023 Oct 27].
  • 2.Lencucha R, Drope J, Magati P, Sahadewo GA. Tobacco farming: overcoming an understated impediment to comprehensive tobacco control. Tob Control. 2022. Mar;31(2):308–12. 10.1136/tobaccocontrol-2021-056564 [DOI] [PubMed] [Google Scholar]
  • 3.Smith J, Lee K. From colonization to globalization: a history of state capture by the tobacco industry in Malawi. Rev Afr Polit Econ. 2018;45(156):186–202. 10.1080/03056244.2018.1431213 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 4.Otañez MG, Mamudu H, Glantz SA. Global leaf companies control the tobacco market in Malawi. Tob Control. 2007. Aug;16(4):261–9. 10.1136/tc.2006.019273 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 5.Leppan W, Lecours N, Buckles D. Tobacco control and tobacco farming: separating myth from reality. London: Anthem Press; 2014. 298 pp. [Google Scholar]
  • 6.Maani N, van Schalkwyk MCI, Filippidis FT, Knai C, Petticrew M. Manufacturing doubt: assessing the effects of independent vs industry-sponsored messaging about the harms of fossil fuels, smoking, alcohol, and sugar sweetened beverages. SSM Popul Health. 2021. Dec 23;17:101009. 10.1016/j.ssmph.2021.101009 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 7.Oreskes N, Conway E. The big myth: how American business taught us to loathe government and love the free market. New York: Bloomsbury Publishing; 2023. [DOI] [PubMed] [Google Scholar]
  • 8.Hirpa S, Ralston R, Deressa W, Collin J. ‘They have a right to participate as a stakeholder’: Article 5.3 implementation and government interactions with the tobacco industry in Ethiopia. Tob Control. 2022. Jun;31 Suppl 1:s5–11. 10.1136/tobaccocontrol-2021-056885 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 9.TobaccoTactics. International Tobacco Growers Association [internet]. Bath: University of Bath; 2020. Available from: https://tobaccotactics.org/article/international-tobacco-growers-association/ [cited 2023 Sep 21].
  • 10.Assunta M. Tobacco industry’s ITGA fights FCTC implementation in the Uruguay negotiations. Tob Control. 2012. Nov;21(6):563–8. 10.1136/tobaccocontrol-2011-050222 [DOI] [PubMed] [Google Scholar]
  • 11.Tan YL, Dorotheo U. The tobacco control atlas: ASEAN region, fifth edition. Bangkok: Southeast Asia Tobacco Control Alliance (SEATCA); 2021. [Google Scholar]
  • 12.Lencucha R, Drope J, Chavez JJ. Whole-of-government approaches to NCDs: the case of the Philippines Interagency Committee—Tobacco. Health Policy Plan. 2015. Sep;30(7):844–52. 10.1093/heapol/czu085 [DOI] [PubMed] [Google Scholar]
  • 13.Otañez MG, Mamudu HM, Glantz SA. Tobacco companies’ use of developing countries’ economic reliance on tobacco to lobby against global tobacco control: the case of Malawi. Am J Public Health. 2009. Oct;99(10):1759–71. 10.2105/AJPH.2008.146217 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 14.Magati P, Li Q, Drope J, Lencucha R, Labonte R. The economics of tobacco farming in Kenya. Nairobi, Atlanta: Institute of Legislative Affairs and American Cancer Society; 2016. [Google Scholar]
  • 15.Makoka D, Drope J, Appau A, Lencucha R. Farm-level economics of tobacco production in Malawi. Lilongwe, Atlanta: Centre for Agricultural Research and Development and American Cancer Society; 2016. [Google Scholar]
  • 16.Goma F, Drope J, Zulu R, Li Q, Chelwa G, Labonte R, et al. The economics of tobacco farming in Zambia. Lusaka, Atlanta: University of Zambia and American Cancer Society; 2016. [Google Scholar]
  • 17.Drope J, Li Q, Araujo E, Harimurti P, Sahadewo G, Nargis N, et al. The economics of tobacco farming in Indonesia. Washington, DC: World Bank Group; 2017. [Google Scholar]
  • 18.Chingosho R, Dare C, van Walbeek C. Tobacco farming and current debt status among smallholder farmers in Manicaland province in Zimbabwe. Tob Control. 2021. Nov;30(6):610–5. 10.1136/tobaccocontrol-2020-055825 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 19.Scoones I, Mavedzenge B, Murimbarimba F, Sukume C. Tobacco, contract farming, and agrarian change in Zimbabwe. J Agrar Chang. 2018. Jan 1;18(1):22–42. 10.1111/joac.12210 [DOI] [Google Scholar]
  • 20.Cipriano IM, Mambo I, Masangano C. Effect of contract tobacco farming on the welfare of smallholder farmers in Angonia District, Mozambique. J Agric Ext Rural Dev. 2017. Dec 31;9(12):292–300. [Google Scholar]
  • 21.Smith J, Fang J. ‘If you kill tobacco, you kill Malawi’: structural barriers to tobacco diversification for sustainable development. Sustain Dev. 2020;28(6):1575–83. 10.1002/sd.2106 [DOI] [Google Scholar]
  • 22.Lencucha R, Reddy SK, Labonte R, Drope J, Magati P, Goma F, et al. Global tobacco control and economic norms: an analysis of normative commitments in Kenya, Malawi and Zambia. Health Policy Plan. 2018. Apr 1;33(3):420–8. 10.1093/heapol/czy005 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 23.Labonté R, Lencucha R, Drope J, Packer C, Goma FM, Zulu R. The institutional context of tobacco production in Zambia. Global Health. 2018. Jan 16;14(1):5. 10.1186/s12992-018-0328-y [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 24.Tobacco board of Zambia [internet]. Lusaka: Tobacco board of Zambia; 2023. Available from: https://www.tbz.co.zm/index.php/about-us [cited 2023 Apr 24].
  • 25.The tobacco commission [internet]. Lilongwe: The Tobacco Commission; 2023. Available from: https://tc.mw/ [cited 2023 Apr 24].
  • 26.Gilmore AB, Fooks G, Drope J, Bialous SA, Jackson RR. Exposing and addressing tobacco industry conduct in low-income and middle-income countries. Lancet. 2015. Mar 14;385(9972):1029–43. 10.1016/S0140-6736(15)60312-9 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 27.Agricultural research and extension trust [Internet]. Lilongwe: Agricultural Research & Extension Trust; 2023. Available from: https://aret.org.mw/ [cited 2023 Feb 10].
  • 28.Rowell A. Big Tobacco is funding the anti-smoking lobby – but leaked documents reveal the real reason why [internet]. The Conversation. 2018 Mar 18. Available from: http://theconversation.com/big-tobacco-is-funding-the-anti-smoking-lobby-but-leaked-documents-reveal-the-real-reason-why-93087 [cited 2023 Sep 21].
  • 29.Philip Morris International. 10-year corporate affairs objectives, strategies. 2014. [internet]. News. Philadelphia: DocumentCloud, Contributed by Reuters News. Available from: https://www.documentcloud.org/documents/4333395-10-Year-Corporate-Affairs-Objectives-and [cited 2023 Sep 21].
  • 30.Tobacco Tactics: International Labour Organization (ILO) [internet]. Bath: University of Bath; 2022. Available from: https://tobaccotactics.org/article/international-labour-organization-ilo/ [cited 2023 Sep 21].
  • 31.Excise Tax Act, B.E. 2560 (2017). Bangkok: Office of the Council of State; 2017. Available from: http://web.krisdika.go.th/data/document/ext809/809872_0001.pdf [cited 2023 Apr 1].
  • 32.Promphakping B, Chamaratana T, Somaboot P, Weeranakin P, Promphakping N, Phatchaney K. Why does tobacco agriculture in Thailand persist? Forest and Society. 2021. Oct 11;5(2):543–58. 10.24259/fs.v5i2.13587 [DOI] [Google Scholar]
  • 33.Patanavanich R, Glantz SA. How to combat efforts to overturn bans on electronic nicotine delivery systems: lessons from tobacco industry efforts during the 1980s to open closed cigarette markets in Thailand. BMJ Glob Health. 2021. Jan;6(1):e004288. 10.1136/bmjgh-2020-004288 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 34.2022 social contributions at a glance [internet]. Stamford: Philip Morris International; 2022. Available from: https://www.pmi.com/resources/docs/default-source/pmi-our-company/2022-social-contributions.pdf?sfvrsn=878cc4b6_2 [cited 2023 Sep 1].
  • 35.[Tobacco farmer mob stormed the Treasury to oppose extreme tax increase on cigarettes.] Daily News. 2021 Sep 23. Thai. Available from: https://www.dailynews.co.th/news/303530/ [cited 2023 Sep 22].
  • 36.Phetphum C, Prajongjeep A, Keeratisiroj O, Simsin S, Thawatchaijareonying K. Deteriorating quality of life and a desire to stop growing tobacco among Virginia and Burley tobacco farmers in Thailand. JCO Glob Oncol. 2022. Aug;8(8):e2200180. 10.1200/GO.22.00180 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 37.Lencucha R, Thow AM. Intersectoral policy on industries that produce unhealthy commodities: governing in a new era of the global economy? BMJ Glob Health. 2020. Aug;5(8):e002246. 10.1136/bmjgh-2019-002246 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 38.Lencucha R, Drope J, Labonte R. Rhetoric and the law, or the law of rhetoric: how countries oppose novel tobacco control measures at the World Trade Organization. Soc Sci Med. 2016. Sep;164:100–7. 10.1016/j.socscimed.2016.07.026 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 39.Policy options and recommendations: Articles 17 and 18. Geneva: World Health Organization; 2013. Available from: https://fctc.who.int/publications/m/item/policy-options-and-recommendations-on-economically-sustainable-alternatives-to-tobacco-growing [cited 2023 Oct 27].
  • 40.2021 global progress report on implementation of the WHO Framework Convention on Tobacco Control. Geneva: World Health Organization; 2022. Available from: https://fctc.who.int/publications/i/item/9789240041769 [cited 2023 Oct 27].
  • 41.Ralston R, Hirpa S, Bassi S, Male D, Kumar P, Barry RA, et al. Norms, rules and policy tools: understanding Article 5.3 as an instrument of tobacco control governance. Tob Control. 2022. Jun;31 Suppl 1:s53–60. 10.1136/tobaccocontrol-2021-057159 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 42.Guidelines for implementation of Article 5.3 of the WHO Framework Convention on Tobacco Control. Geneva: WHO FCTC Convention Secretariat; 2013. Available from: https://www.pmi.com/resources/docs/default-source/pmi-our-company/2022-social-contributions.pdf?sfvrsn=878cc4b6_2 [cited 2023 Oct 27].
  • 43.Bali AS, Howlett M, Lewis JM, Ramesh M. Procedural policy tools in theory and practice. Policy Soc. 2021. Aug 17;40(3):1–17. 10.1080/14494035.2021.1965379 [DOI] [Google Scholar]
  • 44.Assunta M. Global tobacco industry interference index. Bangkok: Global Center for Good Governance in Tobacco Control; 2019. Available from: https://exposetobacco.org/wp-content/uploads/2019/10/GlobalTIIIndex_Report_2019.pdf [cited 2023 Apr 1].
  • 45.Malone RE, Bialous SA. WHO FCTC article 5.3: promise but little progress. Tob Control. 2014. Jul;23(4):279–80. 10.1136/tobaccocontrol-2014-051817 [DOI] [PubMed] [Google Scholar]
  • 46.Amul GGH, Etter JF. Comparing tobacco and alcohol policies from a health systems perspective: the cases of the Philippines and Singapore. Int J Public Health. 2022. Oct 13;67:1605050. 10.3389/ijph.2022.1605050 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 47.Lencucha R, Drope J, Bialous SA, Richter AP, Silva VLDCE. [Institutions and the implementation of tobacco control in Brazil]. Cad Saude Publica. 2017. Oct 19;3(33). Portuguese. Suppl 3:e00168315. 10.1590/0102-311X00168315 [DOI] [PubMed] [Google Scholar]
  • 48.Food and Agriculture Organization of the United Nations, United Nations Development Programme, United Nations Environment Programme. A multi-billion dollar opportunity: repurposing agricultural support to transform food systems. Rome: The Food And Agriculture Organization of the United Nations; 2021. 10.4060/cb6683en [DOI] [Google Scholar]
  • 49.Callard C. Follow the money: how the billions of dollars that flow from smokers in poor nations to companies in rich nations greatly exceed funding for global tobacco control and what might be done about it. Tob Control. 2010. Aug;19(4):285–90. 10.1136/tc.2009.035071 [DOI] [PMC free article] [PubMed] [Google Scholar]
  • 50.Chaloupka F, Erika S, Violeta V, Michal S, Maryam M, Drope J, et al. Tobacconomics: cigarette tax scorecard 2020. Chicago: University of Illinois Chicago; 2020. [Google Scholar]
  • 51.Fooks GJ. The institutionalization of corporate power within policy. In: Maani N, Pettricrew M, Galea S, editors. The commercial determinants of health. New York: Oxford University Press; 2022. p. 164. 10.1093/oso/9780197578742.003.0017 [DOI] [Google Scholar]

Articles from Bulletin of the World Health Organization are provided here courtesy of World Health Organization

RESOURCES