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China State Tobacco Monopoly Administration Expands Oversight to Nicotine Pouches and Smokeless Products

By Azim Chowdhury, David J. Ettinger & Eric Gu on February 5, 2026
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On January 9, 2026, China’s top tobacco regulator, the State Tobacco Monopoly Administration (STMA), published Announcement No. 1 of 20261, officially incorporating nicotine pouches and other “smokeless tobacco products” into its regulatory framework. According to the Announcement, “smokeless tobacco products” refer to tobacco products containing nicotine that are used orally, nasally, or externally without producing smoke, including nicotine pouches (patches, strips), snus, chewing tobacco, tobacco paste, dissolvable tobacco, and snuff. 

When China revised the Implementing Regulation of the Tobacco Monopoly Law in late 2021, the language added to the Regulation was that “e-cigarettes and other novel tobacco products shall be subject to the relevant provisions concerning cigarettes under the Regulation.” After that, STMA has published numerous regulations regarding e-cigarettes, but the regulation of other novel tobacco products has remained in a somewhat gray area. Now, the Announcement makes it clear that smokeless tobacco products (including nicotine pouches) are “regulated as cigarettes or cut tobacco,” formally putting these products under STMA’s monopoly system. The Announcement also notes that, like other tobacco products, the smokeless tobacco products will be subject to the national policies for “restricted industries,” which means that the related new investments and other activities will be highly restricted. Lastly, the Announcement declares that unlicensed production and sales of smokeless tobacco products are strictly prohibited.

The Announcement represents the latest step in China’s recent intensified regulation of so-called “tobacco-related products.” On December 18, 2025, the General Office of the State Council issued an Opinion2 on “combating tobacco-related illegal activities across the entire supply chain.” The Opinion does not clearly define “tobacco-related products,” but in at least one instance names “tobacco monopoly products, e-cigarettes, and other novel tobacco products” as examples of tobacco-related products. The Opinion calls for “comprehensive strengthening of e-cigarette regulation, with strict crackdowns on illegal production, wholesale, transportation, sales, and export-return activities involving e-cigarettes.” The manufacture and sale of “overwhelmed e-cigarettes” (e-cigarettes containing substances like synthetic cannabinoids) and nicotine-free e-cigarettes will be severely punished. The Opinion for the first time imposes a ban on unlicensed production and sales of tobacco-related products such as snus and nicotine pouches. Notably, the Opinion also requires severe crackdowns on the illegal production and sales of “products resembling tobacco in appearance, usage, and primary function,” such as “hollow cigarettes” (i.e., cigarettes without being filled with cut tobacco), “tea cigarettes,” and “flower cigarettes.”

The Opinion authorizes STMA to monitor developments in tobacco-related products and clarify the attributes and scope of all such products, which we have already seen could broadly capture many types of products, including products such as tea cigarettes that do not contain tobacco or nicotine. Consequently, e-cigarettes and all other “tobacco-related products,” including items previously in a regulatory gray area such as nicotine pouches, will fall under the institutionalized oversight of STMA. It is foreseeable that in the near future, the STMA will progressively introduce various new measures regarding tobacco-related products, leading to greater restrictions on related business activities in China. We will continue to monitor the relevant regulatory developments.  

We will discuss this and other global developments as they relate to nicotine products at Keller and Heckman’s 2026 E-Vapor, Nicotine, and Tobacco Law Symposium on May 4-5, 2026, in Las Vegas, Nevada. Register here.

Endnotes

Photo of Azim Chowdhury Azim Chowdhury

Azim Chowdhury is a regulatory and public policy attorney with a focus on vapor, nicotine and tobacco product regulation. He is a Partner in Keller and Heckman’s nationally-ranked food and drug law practice.

Mr. Chowdhury advises domestic and foreign corporations in matters of…

Azim Chowdhury is a regulatory and public policy attorney with a focus on vapor, nicotine and tobacco product regulation. He is a Partner in Keller and Heckman’s nationally-ranked food and drug law practice.

Mr. Chowdhury advises domestic and foreign corporations in matters of Food and Drug Administration (FDA) and international regulatory compliance. In particular, he has developed expertise in tobacco and vapor product regulation relating to the implementation of the Family Smoking Prevention and Tobacco Control Act, and spearheaded the Tobacco and E-Vapor practice at Keller and Heckman. Specifically, Mr. Chowdhury has experience representing tobacco, e-cigarette and e-liquid manufacturers, distributors, retailers, suppliers and trade associations in matters of FDA, state and global regulatory compliance. He also assists corporations in establishing clearances for food and drug additives in the U.S., Canada, and European Union, with an emphasis on indirect additives used in food-contact materials.

Mr. Chowdhury has authored and edited numerous articles and publications, including Tobacco Regulation and Compliance: An Essential Resource, FDA Regulation of Tobacco: A Comprehensive Guide – An FDLI Primer and Tobacco and Nicotine Delivery: Regulation and Compliance, 2nd Edition. He is a frequent contributor to the Food and Drug Law Institute’s (FDLI) Update Magazine and has served on the Editorial Advisory Board of the Food and Drug Law Journal.  In addition, he has been interviewed in the U.S. News and World Reports Best Lawyers Edition (2016) and was named one of “10 Names to Know in the Vape World” in the October 2015 issue of Vape Magazine. Mr. Chowdhury received the 2018 National Law Review Go-To Thought Leadership Award for his consistent coverage of the emerging issues surrounding vaping and e-cigarettes on Keller and Heckman’s law blog, The Continuum of Risk.  As an industry leader, Mr. Chowdhury frequently speaks at industry conferences and events.

Mr. Chowdhury also has an active pro bono practice through Keller and Heckman’s Pro Bono Program, and has been featured in the Baltimore Sun for successfully obtaining asylum in the United States for a family who fled their home country of El Salvador because of violence they faced from an international gang.

Prior to entering private practice, he served as a judicial law clerk on the Court of Special Appeals of Maryland. Mr. Chowdhury received a B.A. and B.S. from Johns Hopkins University, a MBA from the University of Maryland Robert H. Smith School of Business, and a JD, cum laude, from the University of Maryland School of Law.

Education: Johns Hopkins University (B.A., B.S., 2003); University of Maryland Robert H. Smith School of Business (M.B.A., 2006); University of Maryland School of Law (J.D., 2006, cum laude).

Admissions: District of Columbia; Maryland

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  • Posted in:
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    The Continuum of Risk
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