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ToolsRelated topicsResourcesGuide to "Made in Canada" Claims2001-11-08 [Revised 2002-01-22] The objectives of this guide are to provide businesses and industry groups with information that will help them develop strategies to ensure compliance with the false and misleading representations provisions of the Competition Act (sections 52 and 74.01), the Consumer Packaging and Labelling Act (section 7), and the Textile Labelling Act (section 5), and to assist consumers in understanding what rules business should apply to "Made in Canada" claims. What the legislation saysThe Competition Act has two provisions of relevance to country of origin claims made by businesses.
The Consumer Packaging and Labelling Act has one provision of relevance to country of origin claims made by businesses.
The Textile Labelling Act has one provision of relevance to country of origin claims made by businesses.
What you should considerThe provisions cover all forms of representation regardless of the medium used (including print or broadcast media, Internet, oral). Businesses must take care when making representations about the origin of goods. Particular attention should be given to the following areas:
General requirementsThe general requirements and definitions are intended to be guidelines and each scenario will be assessed by the Competition Bureau on a case-by-case basis, balancing all factors and taking into account the nature of the product and consumers' expectations in determining whether enforcement action is warranted. Goods that are wholly obtained or produced in Canada (for example: mineral goods extracted in Canada, goods harvested in Canada), will be considered as Canadian. In its analysis of a declaration claiming Canada to be the country of origin of goods incorporating foreign raw materials or components, the Bureau applies the following rules:
Substantial transformationThe Bureau's view is that goods are substantially transformed where they undergo a fundamental change in form, appearance or nature such that the goods existing after the change are new and different goods from those existing before the change. Cost of production/manufactureCosts that would be taken into account by the Bureau are:
Implicit declarationsA representation may be made by either express or implied claims. Implicit declarations of domestic origin will be interpreted by the Bureau as giving the same general impression to the public as an explicit "Made in Canada" claim. In identifying implied claims, the Bureau focuses on the overall general impression of an advertisement, label or other promotional material. This requires an examination of both the representation and the overall context including the positioning of phrases and images. Depending on the context, pictorial representations (eg. logos, pictures, or symbols such as the Canadian flag or maple leaf) may by themselves be just as forceful and effective as an explicit "Made in Canada" written representation. If a reasonable conclusion from the use of a pictorial representation is that the goods are made in Canada when that is in fact not the case, there is a risk of misleading consumers. Qualified ClaimsIn circumstances where use of an unequivocal claim of "Made in Canada" to promote a product may be misleading, it could be appropriate to use a qualified claim which more accurately reflects the limited production activity which took place in Canada. For example, "Assembled in Canada", "Distilled in Canada", "Sewn in Canada". Any text that attempts to qualify pictorial representations must be sufficiently prominent to ensure that consumers notice them and understand their significance. The Bureau encourages the use of qualified claims where the extra information provided is accurate, relevant and useful and does not give a false or misleading impression. A marketer may make a claim that a particular manufacturing or other process (eg. "designed") was performed in Canada, or that a particular part was manufactured in Canada (eg. picture tube in television), provided that the claim is truthful and substantiated and that reasonable consumers would understand the claim to refer to a specific process or part and not to the general manufacture of the product. More general terms, however, such as "produced", or "manufactured" in Canada, are likely to be understood by consumers as synonymous with an unqualified "Made in Canada" claim. How to contact the Competition BureauAnyone wishing to obtain additional information about the Competition Act, the Consumer Packaging and Labelling Act and the Textile Labelling Act, or file a complaint under the provisions of any of these Acts should contact the Competition Bureau's Information Centre at: Telephone Address Web site E-mail 2001-11-08 Revised 2002-01-22 |