The Preventing Tobacco Addiction Foundation evaluated all current statewide Tobacco 21 laws for their alignment with best practices that lead to effective prevention of youth initiation of tobacco and nicotine products.
Health Department or Designated Agency
New Jersey’s Health Department is the designated enforcement agency
Before distributing any tobacco product, the tobacco retailer or the tobacco retailer’s agent or employee shall verify that the purchaser is at least 21 years of age. Each tobacco retailer or tobacco retailer’s agent or employee shall examine the purchaser’s government-issued photographic identification if the purchaser appears to be under 30 years of age.
New Jersey does not require age verification for a certain appearance of age except that the purchaser must appear to be “of legal age”
The primary burden for sales to underage purchasers should fall on the retailer who is profiting from the sales of the product and not the purchaser or non-management employee.
Penalty is placed on the retailer, clerk, and “Person”
New Jersey law does not provide for a minimum number of compliance checks that must be conducted
Decoy age is not specified
New Jersey has a statewide Tobacco Retail License that only covers cigarettes and other combustible tobacco products
New Jersey’s statewide Tobacco Retail License fee partially funds an enforcement program
New Jersey’s statewide Tobacco Retail License fee is $50 and only licenses cigarettes; it does not cover e-cigarettes
Establish a civil penalty structure for violations rather than a criminal penalty structure.
New Jersey has a civil penalty structure
36 months
Length of violation accrual period not specified
1st violation = $500
2nd violation = $750 and (7) day suspension
3rd violation = $1,000 and (30) day suspension
4th violation = $1000 and (3) year suspension
1st Violation = $250 fine
2nd Violation = fine of no less than $500 and license may be suspended
3rd Violation and subsequent offenses = $1,000 fine and license may be suspended
New Jersey does not penalize youth for purchase, use, or possession (PUP) of tobacco products
Local governments have a critical role in reducing the deadly toll of tobacco by regulating sales and restricting retailer access to youth for to these products to prevent use and addiction.
Tobacco 21 legislation should not introduce new tobacco control preemption, nor expand existing tobacco control preemption, and instead should be used as an opportunity to assert local authority or repeal existing tobacco control preemption.
New Jersey does not preempt local authority to pass more stringent tobacco control laws
A comprehensive definition will cover all current, known tobacco and nicotine products, which include not only cigarettes, cigars, and smokeless tobacco, but also products like pipes, rolling papers, electronic smoking devices, and other related devices. A strong definition will also be broad enough to capture future products.
New Jersey’s Tobacco 21 law does not include a single comprehensive definition of tobacco, but does define products separately and regulates all products within their minimum legal sales age