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Statewide vaping product excise tax policy and use of electronic nicotine delivery systems among US young adults, 2014–2019
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  • Published on:
    In Response to Michael Pesko's Comments "Scientific Concerns"
    • Hsien-Chang Lin, Associate Professor Indiana University School of Public Health-Bloomington
    • Other Contributors:
      • Dae-Hee Han, PhD Candidate
      • Dong-Chul Seo, Professor

    NOT PEER REVIEWED
    We thank Pesko for his comments and the opportunity for us to respond and clarify.

    First, we appreciate Pesko’s clarification that Cotti et al. (2020) clustered standard errors to account for clustering. In the present study, we used multilevel analysis not only to account for clustering of respondents (i.e., design effects) but also to incorporate different error terms for different levels of the data hierarchy which yields more accurate Type I error rates than nonhierarchical methods where all unmodeled contextual information ends up pooled into a single error term of the model.

    Second, we understand that Cotti et al. (2020) evaluated the magnitude of e-cigarette tax values, which does not contradict to our statement because our study focused on the effects of e-cigarette excise tax policies on individual e-cigarette use and prevalence rather than aggregated sales at state or county levels. We also clearly described the reason why we examined the e-cigarette excise tax policy implementation indicator rather than its magnitude in our paper’s discussion section.

    Third, our study used a nationally representative sample of young adults (rather than a nationally representative sample of general adult population). While we understand Pesko’s concern that a sample’s representativeness might be lost when subgroups are explored, we believe our use of sampling weights in analysis has reduced such a concern.

    Fourth, in Table 3,...

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    Conflict of Interest:
    None declared.
  • Published on:
    In Response to Clive D Bates' Comments "By ignoring the impact of a vaping tax on smoking, the paper misses the most important point"
    • Hsien-Chang Lin, Associate Professor Indiana University School of Public Health-Bloomington
    • Other Contributors:
      • Dae-Hee Han, PhD Candidate
      • Dong-Chul Seo, Professor

    NOT PEER REVIEWED

    We appreciate the comments from Bates and the opportunity for us to respond and clarify.

    First, Bates' argument heavily relies on the assumption that e-cigarettes and combustible cigarettes are substitutes, which is theoretically possible as some consider vaping as a harm reduction alternative to combustible cigarettes. Empirically, however, there have been mixed findings about whether e-cigarettes and combustible cigarettes are substitutes (or complements). Bates cited Pesko et al. (2020) that concludes e-cigarettes and combustible cigarettes are substitutes, whereas other studies have shown that they are complements. For example, Cotti et al. (2018) found that higher cigarette excise taxes, in fact, decrease sales of both e-cigarettes and combustible cigarettes, suggesting that they are complements. Such mixed results abate Bates' argument that taxing ENDS could lead to more use of combustible cigarettes.

    Second, Bates might have ignored that our study focused on young adults aged 18-24 years rather than general adults when examining the effect of vaping product tax on e-cigarette use. Although Pesko et al. (2020) suggests that e-cigarettes and combustible cigarettes are substitutes, the findings are based on the general adult population (average age: 55 years) which may not be generalizable to the young adult population. In fact, one study conducted by Abouk and Adams (2017) indicates that e-cigarettes and combustible ci...

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    Conflict of Interest:
    None declared.
  • Published on:
    Scientific Concerns

    NOT PEER REVIEWED
    I have a number of concerns with the paper as currently written.

    1) The authors write: “Besides, none of the previous studies except Pesko et al (15) that examined the associations between vaping product excise tax adoption and ENDS use has accounted for the clustering of respondents within the same localities…” This is not accurate, as citation 19 also clusters standard errors at the locality level in all specifications.

    2) The authors write: "A working paper reported reduced ENDS sales, but not ENDS use prevalence or behaviours, after implementation of a vaping product excise tax policy. (19)” This is not accurate, as the cited study uses the magnitude of e-cigarette tax values, rather than an indicator variable for tax implementation. States have adopted e-cigarette taxes of different magnitudes and a number of them (such as California) have changed the magnitudes of these taxes after adoption. All of this variation is used in citation 19, contrary to the current study’s description. It's also unclear from the sentence whether citation 19 studied use and found imprecise estimates, or did not study use. It's the latter and this should be clarified. It's also unclear why the authors did not use magnitude of e-cigarette taxes themselves in the current paper, as has been commonly done in the referenced literature.

    3) Authors write they use a “nationally representative sample of US young adults.” I do not beli...

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    Conflict of Interest:
    None declared.
  • Published on:
    By ignoring the impact of a vaping tax on smoking, the paper misses the most important point

    NOT PEER REVIEWED
    I would like to make three comments by way of a brief post-publication review.

    1. The impacts of vaping tax on smoking have been completely overlooked

    For a study of e-cigarette taxation to have any public health relevance, it must consider the impact of e-cigarette prices on *cigarette* demand. Cigarettes and e-cigarettes are economic substitutes. The demand for one responds to changes in the price of the other, an idea well understood in economics and quantified through the concept of cross-elasticity. The paper appears to pay no regard to the impact of vaping taxes on cigarette demand, Yet such effects might easily overwhelm any benefits from reduced e-cigarette use - in fact, impact on demand for other tobacco products and the development of informal markets are by far the most important impacts of a vaping tax. By way of example, a 2020 paper by Pesko et al. [1] concluded:

    "Our results suggest that a proposed national e-cigarette tax of $1.65 per milliliter of vaping liquid would raise the proportion of adults who smoke cigarettes daily by approximately 1 percentage point, translating to 2.5 million extra adult daily smokers compared to the counterfactual of not having the tax."

    2. The case for reducing adult vaping by taxation has not been made

    The authors have based their paper on an unexamined assumption that it is a justifiable goal of policy to lower rates of adult e-cigarette use. Why should...

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    Conflict of Interest:
    I have no competing interests with respect to the tobacco, vaping, or pharmaceutical industries. I have been an advocate for tobacco harm reduction for many years, including switching from smoking to vaping. Vaping taxes work against this strategy.