Advertising Standards Bureau - Review of Operations 2013 | Page 101
Use of Premium Offers
5. Complaints and compliance
3.7. Signatories must not advertise Premium
offers in any Medium directed primarily to
Children unless the reference to the Premium
is merely incidental to the food and/or
beverage product being advertised.
Complaints
On-Pack Nutrition Labelling
3.8. Nutrition profile information must be
provided on packaging wherever possible
in respect of those food products usually
contained in such packaging to assist parents
and guardians to make informed food choices
for their Children.
Availability of Nutrition Information
3.9. Nutrition profile information must be
available on company websites and upon
request in respect of all food and beverage
products to assist parents and guardians
to make informed food choices for their
Children.
Children’s Sporting Events
3.10. Signatories must not give away food and/or
beverage products or vouchers to Children as
awards or prizes at Children’s sporting events
unless those products meet the nutrition
criteria.
4. INDIVIDUAL COMPANY ACTION
PLANS
4.1. Signatories must develop and publish
individual Company Action Plans for
the purposes of communicating how they
will each meet the core principles of this
Initiative.
4.2. All commitments must be consistent with the
core principles outlined in this initiative.
Review of Operations 2013
5.1. AFGC QSR Forum has agreed that it is
appropriate to have an independent body
determine complaints under this Initiative.
The Advertising Standards Bureau will
consider any complaints made un \