Governments need to encourage consumers and businesses to be greener if countries are to meet their environmental targets, and consumers are increasingly looking for 'greener' credentials when making purchasing decisions.
This has not been lost on marketers. Green, sustainable, natural, environmentally-friendly, carbon neutral, eco, organic, recycled, recyclable, biodegradable, low emissions, plastic-free, without harming your world and help save the planet are just some of the terms increasingly used to attract consumers interested in environmentally friendly products and services. But how meaningful are these claims and what should consumers make of them?
While many marketers use these terms with genuine credibility, others have been accused of 'greenwashing' or 'green sheening' – making unfounded or deceptive green claims to persuade consumers to buy their products or services.
The UK's Advertising Standards Authority (ASA), Competition and Markets Authority (CMA), Department for Environment, Food & Rural Affairs (DEFRA) and Department for Business, Energy and Industrial Strategy (BEIS) have all set out guidance on making environmental claims:
The rest of this article focuses on CAP Code requirements and some key ASA rulings.
The starting point for assessing marketing claims is Section 1 of the CAP Code, "The central principle for all marketing communications is that they should be legal, decent, honest and truthful. All marketing communications should be prepared with a sense of responsibility to consumers and society and should reflect the spirit, not merely the letter, of the Code".
Crucial to the issue of greenwashing is Section 3, which covers misleading advertising rules. In summary, marketing communications must not materially mislead consumers, either through what they include or what they omit. Consumers must be given sufficient information to make informed decisions in relation to products, and marketers must hold documentary evidence which objectively substantiates the claims they make. Section 3 also covers making comparative claims, such as "greener" or "greenest".
There are specific rules on environmental claims, in Section 11, including:
Life cycle of a product
A key concept is 'the full life cycle' of the product. This means that all aspects of a product's or service's environmental life cycle including its supply chain are important including:
The ASA has ruled on numerous environmental claims from which some general principles about what will be considered misleading can be drawn. Recent examples across a variety of sectors include:
A press ad for Dalradian Gold, a gold mine construction project included text stating:
The ASA ruled that average readers of the ad would interpret the first claim to mean that Dalradian Gold's proposed mine would be carbon neutral for the full life cycle of emissions. Dalradian was able to substantiate the first claim by presenting sufficient evidence of a credible plan to achieve carbon neutrality in accordance with recognised national and international frameworks, including third party validation. Therefore, the first claim was not misleading.
As for the second claim, the ASA said the readers would interpret it as meaning that a benefit of the proposed mine would be its extraction of substantial quantities of metals then used in the renewable energy industry. Dalradian Gold provided no evidence that any quantity of silver and copper extracted from the mine would be used in this industry. This claim was held to be misleading.
The voice on a radio ad for the energy company claimed:
According to the ASA, listeners were likely to infer that ShellGo+ was a fuel for which Shell would offset the carbon emissions related to that fuel purchase such that the customer could 'Drive carbon-neutral'.
ShellGo+ was in fact a loyalty scheme to which customers were required to sign up and then show their membership card when they made a purchase. The carbon emissions related to that fuel purchase would then be offset by Shell.
The ASA ruled that there was nothing in Shell's ad which might indicate that it was advertising a loyalty programme. The ad was misleading.
Text on Hyundai's website, www.hyundair.co.uk, said:
The ASA held that consumers would likely understand this ad to mean that the car had negligible environmental impact and would remove impurities from the air as it was driven, such that no impurities caused by driving it would remain in the air.
The Hyundai NEXO had air filtration systems which would filter the air before it was used in its hydrogen fuel cell. However, the ASA noted that particulates from brake and tyre wear would still be released into the air and would not necessarily be removed by the car, unless they happened to pass through its air filtration system. Particulates were a significant source of air pollution from vehicle use. The ad was therefore misleading.
A press ad for Arla organic farm milk stated:
The ASA ruled that consumers would interpret this claim to mean that the production of the organic farm milk was undertaken in a way that would have an overall positive impact on the environment, taking into account its full life cycle from start to finish.
Arla Foods provided evidence on its organic farming methods which it believed were more sustainable than non-organic farming. However, it had failed to provide evidence that their organic milk production had an overall positive impact on the environment, taking into account its full life cycle. The advert was misleading.
Posters for Plenish Cleanse's almond drinks said:
Two complainants were concerned that almond production could have a negative impact on water levels, particularly in areas of the world already affected by drought.
The ASA found that consumers would understand that switching from cow's milk to Plenish Cleanse's almond drink was one way they could transition to a more plant-based diet. They would therefore understand that Plenish almond drink had a lower environmental impact than cow's milk, based on the full life cycle of the product.
Plenish Cleanse showed that their almonds were not sourced from areas affected by drought and provided detailed data (including water use, greenhouse gas emissions, transport and packaging) to demonstrate that their almond drink had a lower impact on the environment than cow's milk, when taking into account the full life cycle of the product. Therefore, the ads were not misleading.
Gousto's website, www.gousto.co.uk, featured blog entries advertising their Eco Chill Box, stating:
Grocery Delivery E-Services UK challenged Gousto's claims.
The ASA held that consumers would interpret these claims to mean that, first, the box, and everything inside it, did not contain any plastic; and, second, the box was recycled by the majority of local authorities in the UK, and every component of the box was recyclable.
Gousto provided evidence that the box was made of paper and recycled paper. However, the box contained an ice-pack made of low density polyethylene plastic.
Gousto also showed that their Eco Chill Box was recyclable and widely accepted in kerbside recycling by local authorities. However, there was no evidence that the ice packs were either widely recycled or recyclable.
On both counts, Gousto's marketing was misleading for failing to fully substantiate its claims.
Recently, several Oatly ads were investigated.
First, two TV ads for Oatly's oat drinks, which included:
Paid-for Twitter and Facebook posts which stated:
A press ad in the Sunday Times Style Magazine said:
Finally, a press ad in the Guardian Weekend magazine included:
The ASA received 109 complaints challenging whether Oatly's claims were misleading and could be substantiated.
In respect of the TV ads, the ASA considered that consumers would understand the claim to mean that all of Oatly products generated 73% less C02e compared to any type of cows' milk. However, Oatly had only provided evidence in relation to their Oatly Barista Edition oat drink and whole cow's milk. Therefore, the claim was not substantiated and was misleading
The ASA said the social media posts would be understood to mean that the emissions produced by the full life cycle of the transport industry had a lower overall impact than that produced by the full life cycle of the meat and dairy industry. Although Oatly's evidence had related to the full life cycle for the meat and dairy industry, it only related to part of the life cycle for the transport industry. Consumers would have understood the comparison was based on an equivalent and full life cycle analyses when that was not the case. Therefore, the claim was misleading.
For the Sunday Times ad, the ASA considered that although some consumers may have understood "meat and dairy" to include eggs, fish and other organisms in water environments, many would not. Oatly's evidence showed that these items counted significantly towards the figure for greenhouse gas emissions produced by the meat and dairy industry. Therefore, the ad was misleading.
The first claim in the Guardian magazine was held to be understood as an objective claim based on scientific consensus. However, Oatly's source had in fact stated that a vegan diet was 'probably' the best way to reduce your environmental impact. As Oatly left out that qualifier, it overstated the claim. Also, the claim was only the opinion of one expert. Therefore, the claim was misleading.
Finally, in respect of the last claim, Oatly provided figures from a comprehensive review relating to the environmental impact of moving to vegan diets and including data from 38,700 farms and 1,600 processors, packaging types and retailers across the world. Oatly had substantiated the claim and it was not misleading.
Key takeaways for businesses include:
For advice on the issues covered in this article, please reach out to a member of our Brands & Advertising team.
The ASA announced in November 2021 that advertising of cryptoassets, cryptocurrencies and NFTs was a 'red alert priority issue' for them.
1 de 9 Publications
Simon Jupp looks at the UK rules on influencer advertising and what is being done to regulate this area.
2 de 9 Publications
Debbie Heywood looks at UK rules around placement and targeting of non-broadcast, age-restricted ads online.
3 de 9 Publications
Alex Walton looks at the rules which govern advertising video games.
5 de 9 Publications
Adam Rendle and Lara Pentreath look at Ofcom's statement on the regulation of advertising on VSPs.
6 de 9 Publications
Alice Anderson and Louise Popple look at the ASA's consultation on harm and protected characteristics.
7 de 9 Publications
Debbie Heywood looks at existing and incoming rules on the placement of HFSS product adverts.
8 de 9 Publications
9 de 9 Publications