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The Australian Competition and Consumer Commission (ACCC) has released draft guidance on environmental and sustainability claims. The draft guidance provides a clear indication of the ACCC’s views regarding the legality of these types of claims and when the ACCC will be more likely to take enforcement action. We examine the key risk areas and practical examples.

Introduction

The ACCC has recently released its draft guidance for environmental and sustainability claims.

This is a high priority area for the ACCC. The draft guidance reflects issues they have observed in investigations already underway in relation to environmental and sustainability claims.

The draft guidance is framed around 8 principles that the ACCC considers will reduce the likelihood of environmental claims misleading consumers and contravening the Australian Consumer Law. It applies to representations wherever they appear, including product packaging and labelling, point of sale materials, marketing and advertising materials, as well as online, social media and corporate reporting materials.

The ACCC has included a range of illustrative examples in the draft guidance, with a particular focus on consumer goods, including food and beverages, cosmetics, clothes and shoes, and household items. Industries operating in emissions intense environments – such as those that rely on or sell fossil fuels – are also specifically mentioned, with a warning that in the ACCC’s view they are at higher risk of misleading consumers when making environmental and sustainability claims.

The ACCC is consulting on the draft, and businesses and consumers have been invited to comment on the draft, with submissions due by 15 September 2023. A copy of the full draft guidance can be found here.

We highlight some of the key aspects of the guidance and summarise the practical considerations included in the 8 principles and examples.

ACCC approach to enforcement

The draft guidance outlines the ACCC’s “expectations for good practice” and also notes the types of claims that the ACCC considers are likely to mislead consumers, noting in particular aspirational claims/goals and emissions-related claims.

The ACCC also outlined enforcement considerations it will take into account, including:

  • whether genuine efforts and appropriate steps were taken by the business to verify the accuracy of the information relied on, taking into account the size of the business and the resources at its disposal to undertake such verification;
  • whether the business has an intention or plan to implement initiatives to give effect to claims about future matters; and
  • whether the business knew or was reckless about whether the claim was untrue or incorrect.

Adherence to the principles and good practice set out in the guidance is likely to significantly minimise the enforcement risk for businesses making environmental claims.

Aspirational claims and goals

Aspirational environmental claims relating to future goals for improving environmental performance or reducing greenhouse gas emissions are an area of focus in the guidance.

The ACCC expects businesses claiming that they plan to reduce emissions will have a genuine plan in place and be making progress towards achieving those plans. The ACCC uses an example of a courier company making a claim that it will reduce emissions by 80% within 5 years’ time. The claims would be accurate if the courier switched to electric vehicles, but the ACCC considered the courier did not have reasonable grounds for making the claim because it:

  • had not taken any planning, budgeting or research to determine whether is the reduction was feasible,
  • was not quantifying its baseline emissions for all greenhouse gases in a formal or reliable way;
  • had not considered or approved at Board level any decision to switch to electric vehicles; and
  • had no plan to switch to electric vehicles or monitor its progress.

The ACCC considers that good practice for setting sustainability goals requires clarity regarding how and when the goal will be achieved (KPIs) and progress will be measured, and transparency around when companies are not on track to meet their goals and KPIs and what they are doing to address this. The 8th principle in the ACCC’s guidance (summarised in the table below) expressly addresses representations about sustainability transitions.

Emissions related claims

The draft guidance states that particular caution should be exercised when making representations about greenhouse emissions and the overall impact of products, services or businesses on climate change given the complexities involved in quantifying these impacts.

The ACCC includes an example of an airline likely to be engaging in false or misleading advertising where it claims it is “reducing emissions”, where it only operates 1% of its routes using bio-based sustainable aviation fuel and is forecasting its total emissions to increase over the next 5 years due to growth. This reflects actions recently taken by Advertising Standards Authority in the UK, where fossil fuel companies have been prohibited from advertising the environmental benefits of a small part of their business focused on renewable energy, which was likely to misleading consumers about the overall impact of the company’s activities.

If emissions based claims are made, the ACCC considers it is good practice to:

  • undertake a thorough emissions baseline assessment using established and recognised methodologies;
  • clearly and transparently communicate the actions underpinning the claim – for example, emissions reduction activities versus reliance on offsets;
  • explain how scope 2 emissions have been accounted for and verify and provide up to date information about the types of projects that offsets have been generated from;
  • account for all greenhouse gas emissions, not just some (e.g., carbon dioxide);
  • avoid using headline claims which create a misleading impression – for example, by emphasising emissions reduction in only a small proportion of overall emissions activities or advertising a carbon neutral product but not making clear it is not a default option but requires consumers to opt in and potentially pay a premium.

8 guiding principles and specific examples

Drop down for detail.

1. Make accurate and truthful claims

Principles and key guidance

Examples

  • Untrue or partially true claims should not be made
  • Reasonable steps should be taken to verify supporting information provided by suppliers, where relevant
  • Do not exaggerate the environmental benefits or scientific acceptance
  • Where the scientific basis for a claim is under dispute or not conclusive, the claim should not be presented as universally accepted
  • Where the scientific evidence broadly applies but it is unclear if it applies to your situation, avoid making a claim based on it
  • Clearly state what part and how much of the product/service the claim applies to
  • Avoid statements that products, service or businesses have an “overall positive effect” on the environment as most will have some negative impact
  • Do not make claims of an environmental benefit if all similar products, services or businesses have the same feature or if that “benefit” is actually a legal requirement
  • Comparisons should be transparent and fair – comparisons should be for “like for like” products and measure features using the same method or standard

“Likely to be false or misleading”

  • A claim that paper is “made from recycled materials”, when in fact the paper only contains 20% recycled materials.
  • A claim that bioplastic boxes “biodegrade faster than the leaves in your backyard” based on a study conducted 30 year earlier in lab conditions, which has not been replicated since. There is also debate in the scientific community and literature about the biodegradability of bioplastic in real world settings.
  • A claim on cosmetic packaging that “this product does not harm the environment” when the bottle is made from recycled material but the cap and external packaging and contents of the bottle are not.
  • A claim that a cement manufacturer is “Australia’s only cement manufacturer taking steps to protect the environment by reducing emissions” when the company is only reducing its emissions in accordance with its legal requirements and does not have a basis for concluding others are not doing the same.
  • A claim that drink bottles are “made with less plastic” in an advertisement which displays an image of the branded bottle next to an unbranded plastic bottle without further information making clear the basis for the comparison.

Good practice”

  • Providing environmental information on swing tags of products in store and on each product page online. Including information about types and environmental impacts of materials used and exact proportion used in each product. Links to more detailed information and evidence provided on QR codes on swing tags and links on website.

 

2. Have evidence to back up your claims

Principles and key guidance

Examples

  • Use evidence that is independent and scientific and widely accepted
  • Ensure testing conditions reflect real-world consumer conditions
  • Use accepted methodologies to calculate claims and keep records
  • Provide evidence (or links to it) directly where claim is made and also include summaries if it is complex
  • For third party certifications:
    • claims must accurately reflect what has been certified (and not go beyond it)
    • third party certifications must not be mischaracterised
    • you must comply with the certification rules on an ongoing basis
    • the certification scheme must be independent of your business
  • the promotion of certification must not be disproportionately emphasised

 

“Likely to be false or misleading”

  • A business selling chocolate claims that “cocoa doesn’t contribute to deforestation”, but doesn’t know where its wholesale supplier sources cocoa from.
  • A claim that plastic kitchen items have been certified by a third party as being industrially compostable, without explaining that special facilities are required for the products to break down and they won’t break down in home composting conditions.

Good practice”

A shoe manufacturer chooses a factory that has robust sustainability practices, including information about suppliers and manufacturers or raw materials and energy generation. The shoe manufacturer includes the information about its supply chain on its website and presents it in an easy to understand manner. 

3. Don’t leave out or hide information

Principles and key guidance

Examples

  • Provide customers with information that gives the full picture – do not only highlight the positive aspects in a manner which gives the impression of a lower environmental impact than is actually the case
  • Information in small print and qualifications must not conflict with the overall message of the claim
  • Good practice for environmental claims is to only use small print to provide supporting information (not disclaimers or qualifications which should be more prominent)
  • Consider the impact on the whole of the life cycle to ensure specific claims are not misleading
  • Do not place important information where customers are unlikely to see it
  • Consider all relevant information and be transparent

“Likely to be false or misleading”

  • A claim that cosmetic bottles are “plastic free”, with small text on the back of the bottle stating that the claim only applies to the external bottle and not the cap, pump or internal tube sitting inside the bottle. The small print being not sufficiently prominent to overcome the “plastic free” claim.
  • A claim that a business “creates zero emission electric vehicles” when this only relates to the emissions when the car is driven, but doesn’t reflect the emissions during manufacturing or charging the vehicle. 

 

4. Explain any conditions or qualifications on your claims

Principles and key guidance

Examples

  • Clearly explain any conditions required or steps that must be taken for claim to be accurate or achievable
  • E.g., do not make claims that are based on laboratory conditions that do not apply to real life consumer use, or where the claim is accurate in some locations but not others or where the technology or infrastructure required for the claim to be fulfilled is not readily available.
  • Care should be taken around Food Organics and Green Organics (FOGO) claims given the differences in FOGO rules across different states, territories and even local areas

 

“Likely to be false or misleading”

  • A claim that products manufactured in Sweden and supplied in Australia have “100% recyclable packaging” when the infrastructure for that recycling does not exist in Australia yet
  • A claim that single-use coffee pods are “recyclable”, when they are not widely accepted for recycling and where they are accepted, special steps are required to be taken to recycle them (which is not disclosed to customers).
  • Claims that a service station and coffee retailer is “helping the planet” by using “recyclable take away coffee cups” when the cups can only be recycled in special bins in the store and not in consumers’ homes. 

 

5. Avoid broad and unqualified claims

Principles and key guidance

Examples

  • Consumers are likely to assume that broad claims apply to the entire product, service or business, or are environmentally better than they are, without additional explanation of the specific aspects

“Likely to be false or misleading”

  • A claim on a shampoo bottle label that “Our new sustainable range of products uses recycled plastic” when the manufacturer starts using 25% recycled plastic in the bottles and caps. The term sustainable appears to apply to the whole product and it is not specified how much of the product is recycled plastic.

Good practice”

  • Avoid using the following broad and unqualified claims:
    • green, go green or choose green
    • environmentally friendly
    • eco-friendly
    • sustainable
  • Terms that should be qualified and explained:
    • recyclable
    • recycled
    • renewable energy
    • free

 

6. Use clear and easy-to-understand language

Principles and key guidance

Examples

  • Avoid technical terms, and language that requires specialist scientific or industry knowledge

“Likely to be false or misleading”

  • Claims picnic cutlery is “reusable”, when in fact the products had previously been sold as single-use and, while the products can be reused a small number of times, the cutlery is made from conventional plastic that degrades with repeated washing and becomes unsafe for continued use.

 

7. Visual elements should not give the wrong impression

Principles and key guidance

Examples

  • Visual elements (e.g. green packaging or logos representing a recycling process) should be used with care and can contribute to a misleading overall impression
  • Images of plants, animals, the earth or certain endangered species may suggest environmental benefits as may the colours green and blue
  • Misusing a product that is widely understood to have a particular meaning (that does not apply to the product or service) can also be misleading
  • There should be a clear and prominent explanation next to symbols regarding what it means or why it is used
  • Avoid using your own (created) symbols that consumers might believe are “trust marks” certified or verified by an independent third party
  • Ensure that use of third party labels and certification marks (including placement and positioning) are used in a way that makes clear what they apply to and what has been certified (and what has not) and whether the certifier is independent (or not)

 

“Likely to be false or misleading”

  • A toothbrush manufacturer uses a green tick enclosed in a circle alongside the words “biodegradable approved” on its product packaging, but has not tested its products for biodegradability and the type of biobased plastic used by the business is not biodegradable.

 

8. Be direct and open about your sustainability transition

Principles and key guidance

Examples

  • Ensure claims do not give the impression that the business is further along in the sustainability transition than it is
  • Do not make claims that you have plans or intentions to implement certain environmental initiatives if there are not genuine commitments and plans in place or achieved steps to sustainability if those steps are still in progress

 

Good practice”

  • Develop a clear plan for steps already taken, steps currently being taken and future steps intended to be taken.
  • Qualify any claims based on actual progress.
  • Measure progress against emissions reductions goals, including accounting for emissions from direct operations as well as emissions produced when consumers purchase and use products and services.
  • Commit to clear steps to achieve the goal and take action to implement those steps by making operational changes or purchasing high integrity offsets in the interim period;
  • When making representations about progress, clearly explain the portion of gross emissions reduced by activity versus offsets, including by providing details of programs it has sourced offsets from and annually cancelling or surrendering the volume of offsets that is consistent with achieving the gaol and ensuring offset cancellations are recorded in the relevant registry.
  • Have investment plans in place to for additional steps to be taken in the future to reduce emissions (including, for example, in respect of energy usage, air freight and logistics, supply chain, reducing reliance on virgin materials and increasing recycling use.

 

 

Key contacts

Sarah Benbow photo

Sarah Benbow

Partner, Melbourne

Sarah Benbow
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Patrick Gay

Partner, Sydney

Patrick Gay
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Mark Smyth

Partner, Sydney

Mark Smyth
Timothy Stutt photo

Timothy Stutt

Partner, Sydney

Timothy Stutt
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Linda Evans

Regional Head of Practice – Competition, Regulation and Trade, Australia, Sydney

Linda Evans
Emma Iles photo

Emma Iles

Partner, Melbourne

Emma Iles
Patrick Clark photo

Patrick Clark

Partner, Melbourne

Patrick Clark
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Stephanie Panayi

Partner, Sydney

Stephanie Panayi

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Australia Competition, Regulation and Trade ESG, Sustainability and Responsible Business Consumer ESG Consumer Sarah Benbow Patrick Gay Mark Smyth Timothy Stutt Linda Evans Emma Iles Patrick Clark Stephanie Panayi