A key issue ACS would raise to the Committee is that once enforcement action is taken against a business, we want reassurance about what accounts for “all reasonable precautions” in the regulations and how retailers can set this out when challenged by an enforcement officer. Retailers may, especially during the introductory period of the disposable vapes ban, secure stock of vaping products in good faith that they include functions that mean they are not disposable, but there may be a disagreement with Trading Standards’ and suppliers’ interpretation of the regulation.