All of question 3 is regarding the bullshit channels only and doesn't concern our lovely babeshows.
This fucking pisses me off this does, they rabbit on all the way through about 'short form' advertising and 'long form' advertising. It complicates matters to a great degree all the way through the survey and they bring it up and number of times in the consultation itself, including identifying short form advertising in one of their 'principles'...
...they then draw up regulations that make NO distinction between the two!
I had a go at what they said over the short form version anyway, even though it makes no difference...
Question 4a: Do you agree with the principles identified for changes to the Advertising Code rules on promotion of PRS of a sexual nature (rule 11.1.2) and psychic practices (rule 15.5)?
We do not. These principles include ‘Spot advertising or short form promotion of adult sexual entertainment PRS and live psychic services should not be available on any open access TV channel.’
Ofcom have provided no justification for this stance. The viewers survey showed the majority of people to be unconcerned about this material being broadcast on dedicated channels. They expressed similar attitudes towards short form as they did towards long-form. It is unclear why this principle effectively allows one form but not the other.
Section 1.4 states…”We consider that, in order to protect against the risk of offence, the revised rules should reflect the principles identified under option 4: that promotion should only be allowed on channels that are licensed for the purpose of promotion of the relevant PRS service and appropriately positioned and labeled within the relevant section of an Electronic Program Guide (EPG).”
How does a total ban on short form advertising fit in with the principles laid down under option 4? Just where in fact does the proposed ban on short form advertising on dedicated channels come from?
Section 6.25 states…”Most participants were against the idea of short form promotion of adult sexual entertainment PRS in spot advertising, primarily because it would directly conflict with their desire for control and containment of promotion. The vast majority of participants did not want any short form promotion on Channel 3, Channel 4 or Five or other general entertainment channels. By far the most acceptable route for short form promotion on TV was promotion on a dedicated Adult TV channel in the ‘Adult’ section of the Electronic Programme Guide (EPG). “
So people are not against spot promotion on dedicated channels, they just don’t want it rammed down their throats when they’re watvhing main stream television, exactly the same sentiments they expressed over long-term promotion.
We cannot see a reason why short form promotion should be treated any differently than the long form type. We cannot see why this principle has been identified, when the resulting rule change makes no distinction between long and short form advertising.
“The scheduling of adult-sex content post watershed “ Is identified as an existing rule that needs to be considered for the new rules. Yet, the survey showed that this was not a concern for people, as long as the two principles of control and containment are met. We believe that there are sufficient mechanism for control and containment without the need for scheduling restrictions.
“Teleshopping or long form promotion of these premium rate services should be available only on dedicated Adult chat PTV and Psychic PTV channels that are clearly labelled and positioned in an appropriate EPG section.”
We do not agree that an appropriate EPG section is necessary to satisfy the principles of control and containment specified by the British public.
Section 8.8 goes on to state “These restrictions are to limit the risk of offence to general viewers, and particularly minors, from promotion of these services and their accompanying promotional content where there is no prior expectation, context or warning of them and where they cannot be reliably avoided, controlled or blocked by viewers. “
The key phrase we would like to point out is….”Where they cannot be reliably avoided, controlled or blocked”
Digital receivers allow users to delete channels from the listing and therefore, the very fact these products are broadcast using digital technology allows them to be reliably blocked, controlled and thus, easily avoided.
The EPG requirements are simply not necessary.