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Toxicological Evaluation Of Novel Heat-Not-Burn Tobacco

    COMMITTEES ON TOXICITY, CARCINOGENICITY AND MUTAGENICITY OF
    CHEMICALS IN FOOD, CONSUMER PRODUCTS AND THE ENVIRONMENT
    (COT, COC and COM)

    Introduction
    1. The COT, with support from the COC and the COM, was requested to assess
    the toxicological risks from novel heat-not-burn tobacco products, and compare
    these risks to those from conventional cigarettes.
    2. To date, two novel heat-not-burn tobacco products have been notified to PHE
    in accordance with the Tobacco and Related Products Regulations 2016.

    What are novel heat-not-burn tobacco products?
    3. In heat-not-burn tobacco products, processed tobacco is heated in a
    controlled device instead of being burnt as is the case for conventional tobacco
    products.
    4. A recent consultation by HM Treasury1 noted there is a range of heat-not-burn
    tobacco products where:
    a. processed tobacco is heated directly to produce vapour
    b. processed tobacco is designed to be heated in a vaporiser
    c. devices produce vapour from non-tobacco sources, where the vapour
    is then passed over processed tobacco in order to flavour the vapour
    5. The two products assessed by the Committees fall into the first and last of
    these groups, and as a result the temperature to which the tobacco is heated varies
    considerably between them. For one product where the tobacco is heated directly, a
    maximum heating temperature of up to 350 °C was reported, while for the other
    product in which the tobacco is heated by a vapour, the maximum temperature of the
    tobacco was reported to be less than 50 °C. For comparison, when tobacco in
    cigarettes is burnt it reaches temperatures of at least 800 °C.

    Information obtained
    6. The two manufacturers of products notified in the UK before November 2016
    were asked to present the relevant toxicity data they hold. In addition to the
    manufacturers’ data, a literature search was undertaken to identify any available
    independent data on these products. This was very limited.

    Exposure
    7. Investigations on both products that were assessed by the Committees,
    showed a decrease in the harmful and potentially harmful compounds (HPHCs) to
    which the user would be exposed, compared to the HPHCs from a conventional
    cigarette2. For both products, there were some HPHCs where the reduction was
    approximately 50%, and the reduction in other HPHCs was greater than 90%.
    8. The Committees also requested data on additional contaminants from the
    devices themselves. The available data presented and discussed with the
    manufacturers provided no evidence for exposures other than from compounds also
    present in conventional cigarette smoke.
    9. The design of the devices means that any potential sidestream emissions
    from them will be very different to those from the burning tip of conventional
    cigarettes. In terms of environmental exposure to bystanders, assessments showed
    that while some of the measured components increased above background with the
    use of the heat-not-burn tobacco products, much greater increases occurred
    following use of conventional cigarettes.
    Toxicity data
    10. In compiling the list of information requested by the Committees for this
    evaluation, there was a focus on cancer, respiratory, cardiovascular and liver-related
    health effects.

    Epidemiological data

    11. Both products are already available on the market in the UK and other
    countries around the world. Post-marketing surveillance is being undertaken by both
    manufacturers in these countries, but it is too early for epidemiological information on
    health impacts to be available.

    Committees’ discussion

    A number of differences were identified between the two products notified in the UK, the most obvious being the temperature to which the tobacco is heated, which will potentially have an impact on the number and amount of compounds that thereby become volatile and can be inhaled by the user. There is also a difference in the source of the nicotine. In the product where the tobacco is heated directly, the nicotine is derived from the tobacco in the device, while for the other product the nicotine is present within the liquid that is aerosolised and passed through the tobacco.

    13. The Committees were unable to assess the absolute risk of heat-not-burn
    tobacco products given the nature of the data available.

    14. The data indicated that the aerosol generated from these products contains
    HPHCs, some of which are mutagenic and carcinogenic, and therefore there will be
    some risk to health from use of these products. The normal recommendation of the
    Committees is that exposure to such chemicals is kept as low as reasonably
    practicable, but it was recognised that these products could provide harm reduction
    for people who would otherwise smoke cigarettes.

    15. There would likely be a reduction in risk for conventional smokers deciding to
    use heat-not-burn tobacco products instead of smoking cigarettes. However,
    stopping smoking entirely would lead to the greater reduction in risk.

    16. A reduction in risk would also be experienced by bystanders where smokers
    switch to heat-not-burn tobacco products.

    17. The Committees were concerned over the potential for non-smokers including
    children and young people, who would not otherwise start to smoke cigarettes, to
    take up using these products, as they are not without risk. There was also concern
    over whether the use of these products would lead to cigarette smoking by nonsmokers. Information on this should be obtained before the overall impact on public
    health can be assessed.

    18. The data considered by the Committees was not sufficient to comment on the
    relative risks of heat-not-burn tobacco products and e-cigarettes, though this is of
    interest.

    19. The Committees considered the potential risks from use of these products
    during pregnancy. The current UK advice3
    to pregnant women is to stop smoking
    entirely. However, the advice states: “If using an e-cigarette helps you to stop
    smoking, it is much safer for you and your baby than continuing to smoke”. There is
    no direct data on the risk to the unborn child following use of heat-not-burn tobacco
    products by the mother. Based on reduced exposure to compounds of concern with
    heat-not-burn tobacco products compared to conventional cigarettes, the
    Committees considered that, though the aim should be for pregnant women to stop
    smoking entirely, the risk to the unborn baby is likely to be reduced if using these
    products during pregnancy instead of smoking.

    20. The Committees emphasised that nicotine itself is addictive, and can have
    harmful effects on health. In addition, users of any nicotine product would use it in
    such a way, and in such quantity, as to achieve a similar effect to that they were
    used to from their previous smoking products. Depending on the concentrations of nicotine in different products, relative exposure to other compounds of concern could
    be increased or decreased in the process of achieving the desired nicotine effect.
    For example a user might take a fewer or greater number of puffs, or use these
    products more often or for longer than they did with conventional cigarettes.
    Committees’ conclusions.

    21. It is well recognised that using tobacco is carcinogenic and its use has other
    harmful effects on human health.

    22. Using heat-not-burn tobacco products involves breathing in a number of
    compounds of concern, some of which are carcinogens.

    23. The levels of the different compounds in the aerosol from heat-not-burn
    tobacco products are different to the levels in smoke from conventional cigarettes.

    24. Heat-not-burn tobacco products contain nicotine and are designed to deliver
    similar levels of nicotine to conventional cigarettes; their use will not reduce nicotine
    exposure or the risk to health from and possibility of addiction to nicotine.

    25. The Committees conclude that there will be a risk to health from using heatnot-burn tobacco products.

    26. It is currently not possible to quantify this risk. Heat-not-burn tobacco products
    are new and there is insufficient data available to enable a full assessment.

    27. The exposure to compounds of concern in using heat-not-burn tobacco
    products is reduced compared to that from conventional cigarette smoke. It is likely
    that there is a reduction in overall risk to health for conventional smokers who switch
    to heat-not-burn tobacco products.

    28. While the Committees conclude there is a likely reduction in risk for smokers
    switching to heat-not-burn tobacco products, a risk remains and it would be more
    beneficial for smokers to quit smoking entirely.

    29. A reduction in risk would be expected to be experienced by bystanders where
    smokers switch to heat-not-burn tobacco products.

    30. The risk to the unborn child from use of these products by mothers during
    pregnancy is difficult to quantify and current NHS advice is to stop smoking entirely.
    The Committees consider that the risk to the unborn baby is likely to be reduced if
    these products were used during pregnancy instead of smoking, although the aim
    should be to stop smoking entirely.

    31. Overall, the Committees conclude there are toxicological risks from novel
    heat-not-burn tobacco products though data on impacts to human health is very
    limited. Compared with the known risks from conventional cigarettes, they are
    probably less harmful. Even so, smokers would do better to quit entirely.


    COT, COC and COM
    COT 2017/04; December 2017