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21 Concluding Observations
Pages 657-660

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From page 657...
... One of those is the adoption of product standards, which require that product characteristics related to e-cigarette devices (e.g., electrical power, heating element, customizability) , e-liquid constituents (e.g., nicotine concentration, flavoring additives, solvents such as propylene glycol and glycerol)
From page 658...
... appeal, uptake, and effects on maintaining abstinence or precipitating relapse among former combustible tobacco cigarette smokers. Some product characteristics may pose much greater health risks with little potential benefit and be viable candidates for restrictive product standards.
From page 659...
... applications to FDA for iQOS products and, if approved, would permit marketing with claims of reduced health risk.1 It is important for regulatory science to translate the same methodologies and research questions directed toward e-cigarettes addressed in this report to heat-not-burn products. Furthermore, patterns of poly-tobacco product use and transitions in use among e-cigarettes, heat-not-burn tobacco products, and combustible tobacco products will also necessitate study.
From page 660...
... Atlanta, GA: U.S. Depart s ment of Health and Human Services, Centers for Disease Control and Prevention, National Center for Disease Prevention and Health Promotion, Office on Smoking and Health.


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