Hard Cider Legislative Update

Hot on the heels of the craft beer revolution, hard cider is experiencing its own renaissance. Small labels are proliferating and widely available at retail locations, and cider bars are opening in major cities across the country. Hoping to capitalize on the craze, even larger producers like Stella Artois and Miller Coors are getting in on the action with Cidre (marketed towards women who would ordinarily choose white wine) and Smith & Forge (marketed towards men who would ordinarily choose beer). With so many new producers and products on the market, the confusing regulatory framework surrounding cider is now in the spotlight. Cider (including perry, or pear cider) has long resided in a legal grey area because it is regulated like wine (as it is made with fermented fruit), but often packaged and distributed like beer. Many consumers also treat cider as a substitute for beer, although this is changing (as Stella Artois is hoping with Cidre). This has led to many practical problems that states and the federal government are wrestling with. Below is an overview of recent legislative issues pertaining to cider – stay tuned for updates.

Federal Regulation

As TTB treats cider like wine for registration and labeling purposes, cider producers must register as a bonded winery, pay tax and follow other rules for winery operation per 27 CFR part 24, including TTB-enforced wine label requirements. However, the FDA, and not the TTB, has jurisdiction over the labeling of “diluted wine and cider” that contains less than 7% ABV.

Further complicating matters, TTB does not always treat cider like wine for the purposes of taxation. Depending on the sugar content of apples and the production technique, cider can be taxed like beer (if ABV is less than 7%), wine (if ABV exceeds 7%), or sparkling wine (if CO2 levels exceed a certain level).  As explained by the United States Association of Cider Makers:

Because many cider producers are small, craft operators, who rely on natural raw materials, they often have little ability to predict and control the precise alcohol content and carbonation level of their product. Meanwhile, cider consumers expect a somewhat high level of carbonation, equivalent to that of most beer.

To address these issues, Senators Chuck Schumer of New York and Patrick Leahy of Vermont are pushing legislation introduced last fall by Earl Blumenauer of Oregon (S 1531/ HR 2921) that would change the Internal Revenue Code to create a specific definition for hard cider (which would include pears) and tax it at the same rate as beer. The definition would also include a higher level of carbonation and align the allowable alcohol-content with the natural sugar content of apples (at least one-half of 1% and less than 8.5% ABV).

California

As mentioned in a previous Booze Rules post, AB 779 now permits a beer manufacturer who produces more than 60,000 barrels of beer per year to also manufacture cider. Until now, anyone who wanted to produce cider in California needed to obtain a winegrower’s license. This is still true for smaller craft producers, as the licensing exception only applies to larger operations. It is yet to be seen whether the small producers will demand equal treatment.

Colorado

HB 1346, backed by AB InBev and Miller Coors, would have allowed companies that make beer and also have an interest in a Colorado distribution company to import cider products directly without having to go through a specially licensed wine and spirits distributors, as cider imports to Colorado do now (because cider is classified as wine, beer distribution companies can’t directly import cider made out of state and sell it to retailers in Colorado). The bill was opposed by small producers and wholesalers who saw the legislation providing an unfair advantage to two wholesalers in the state owned by AB InBev and Miller Coors. Citing complexity and limited time remaining in the legislative session, the bill’s sponsor asked that it be tabled for future debate. More information can be found at the Denver Business Journal.

Maryland

Maryland’s 2014 legislative session included SB 0161, which amended the definition of hard cider to include pears. Hard cider in Maryland is taxed like beer (at 9 cents per gallon) and must be less than 7% ABV.

New York

As mentioned in a recent Booze Rules post, the NYSLA is proposing sweeping statutory revisions intended to revise and streamline the NY ABC law. With respect to cider, direct to consumer shipment rights would be extended to craft cider producers, and any producer with a NY direct shipping permit (including cider producers) would be able to ship products produced by others if those other producers were located within a 50-mile radius of the shipping producer. Additionally, manufacturers and “brand owners” would be able to obtain a permit to sell cider by the glass at special events. Liquor, wine and beer wholesale licenses would include the right to sell cider at wholesale.

 

  1. Strategic Exit Planning: Positioning Your Alcohol Beverage Business for Successful Acquisition or Investment
  2. New California Alcohol Laws for 2024 – a Mixed Bag of Privileges, Punishments, Clarifications, and Politics
  3. TTB Speaks up on Social Media
  4. Alcohol Trade Practices Update
  5. President Biden just made a big cannabis announcement... what does it mean?
  6. The Uniform Law Commission – Encouraging Consistent State by State Definitions, Protocols and Procedures
  7. San Francisco to the Governor - Review the RBS Program and Delay Implementation. Problems must be Corrected.
  8. TTB and Consignment Sales – Is There a Disconnect Between Policy Development and Business Reality?
  9. RBS ADDENDUM – THE LATEST FROM THE ABC AS THE AGENCY PROVIDES MORE INFORMATION ON THE CALIFORNIA ABC’S MANDATORY RESPONSIBLE BEVERAGE SERVER PROGRAM
  10. THE STATE OF TO-GO BOOZE IN CALIFORNIA
  11. BOOZE RULES SPECIAL EDITION – THE RESPONSIBLE BEVERAGE SERVICE PROGRAM FACTS AND REQUIREMENTS
  12. Competition in the Beverage Alcohol Industry Continues Under the Microscope – Part 3
  13. Competition in the Beverage Alcohol Industry Under the Microscope – Part 2
  14. Competition in the Beverage Alcohol Industry Now Under the Microscope
  15. Alcohol Marketplaces 2.0 Part 5: Looking Ahead
  16. It’s Time for a Regulatory Check-Up: Privacy Policies for email marketing and websites
  17. Alcohol Marketplaces 2.0 Part 4: Who’s responsible for ensuring legal drinking age?
  18. Alcohol Marketplaces 2.0 Part 3: Follow the Money
  19. BOOZE RULES 2021 – NEW CONTAINER SIZES APPROVED FOR ALCOHOLIC BEVERAGES: KEEPING TRACK OF THE TTB’S ATTEMPTS TO REGULATE CONTANER SIZES
  20. Alcohol Marketplaces 2.0 Part 2: Collect sales tax from marketplaces or comply with alcohol guidance?
  21. Alcohol Marketplaces 2.0 Part 1: Solicitation of sales by unlicensed third-party providers
  22. Federal Cannabis Legalization Fortune-Telling
  23. BOOZE RULES – THE DIRECT SHIPPING WARS
  24. California ABC provides additional Covid guidance on virtual events and charitable promotions
  25. Hot Topics for Alcohol Delivery 2020
  26. California Reopening Roadmap is Now a Blueprint for a Safer Economy
  27. The Hospitality Reopening Roadmap to Success
  28. Salads Not A Meal in California, Says ABC
  29. Delivery Personnel Beware – The ABC is Coming for You and for the Licensees Hiring You to Deliver Alcoholic Beverages - This Time Its Justified
  30. Licensees Beware – the Harsh New ABC Enforcement Rules Are Effective Right Now
  31. Part 2: LEGAL FAQS ON REOPENING CA RESTAURANTS, BREWPUBS, BARS AND TASTING ROOMS
  32. John Hinman’s May 22, 2020 interview with Wine Industry Advisor on the ABC COVID-19 Regulatory Relief initiatives and the ABC “emergency rule” proposals
  33. Booze Rules May 21 - The Latest on the ABC Emergency Rules
  34. Part 1: Legal FAQs on Reopening CA Restaurants, Brewpubs, Bars and Tasting Rooms
  35. The ABC’s Fourth Round of Regulatory Relief - Expanded License Footprints Through Temporary COVID-19 Catering Authorizations, and Expanded Privileges for Club Licensees
  36. BOOZE RULES – May 17, 2020 Special Edition
  37. ABC ENFORCEMENT - ALIVE, ACTIVE AND OUT IN THE COMMUNITY
  38. Frequently Asked Questions about ABC’s Guidance on Virtual Wine Tastings
  39. ABC Keeps California Hospitality Industry Essential
  40. ABC REGULATORY RELIEF – ROUND TWO – WHAT IT MEANS
  41. Essential Businesses Corona Virus Signage Requirement Every Essential Business in San Francisco Must Post Sign by Friday, April 3rd
  42. Promotions Compliance: Balancing Risk and Reward
  43. The March 25, 2020 ABC Guidance: Enforcement Continues; Charitable Giving Remains Subject to ABC Rules; and More – What Does it all Mean?
  44. Restaurant and Bar Best Practices – Surviving Covid 19, Stay at Home and Shelter in Place Under the New ABC Waivers
  45. Economically Surviving the Covid Crisis and the Shelter in Place Orders: A Primer on Regulatory interpretations and Options
  46. Booze Rules – Hinman & Carmichael LLP and the Corona Virus
  47. Booze Rules: 2020 and the Decade to Come – Great Expectations (with apologies to Charles Dickens)
  48. The RBS Chronicles: If Your Business serves Alcoholic Beverages YOU NEED TO READ THIS AND TAKE ACTION!
  49. RESPONSIBLE BEVERAGE SERVICE ACT HEARING – OCTOBER 11TH IN SACRAMENTO – BE THERE!
  50. WHEN THE INVESTIGATOR COMES CALLING – BEST PRACTICES.
  51. RESPONSIBLE BEVERAGE SERVICE ACT PROPOSED ABC RULES 160 TO 173 – WHY THE RUSH?
  52. The TTB Crusade Against Small Producers and the “Consignment Sale” Business Model
  53. TTB Protocols, Procedures, and Investigations
  54. Wine in a 250 ML can – the Mystery of the TTB packaging Regulations and Solving the Problem by Amending the Regulations
  55. The Passing of John Manfreda of the TTB: a Tragedy for his family and a Tragedy for the Industry he so Faithfully Served for so Long.
  56. Pride in a Job Well-done, or Blood Money? The Cost of Learning the Truth from the TTB about the Benefits to Investigators from Making Cases Against Industry Members
  57. How ADA Website Compliance Works – The Steps You Can Take to Protect Yourself, Your Website and Your Social Media from Liability
  58. Supplier and Distributor Promotional “Banks,” Third Party Promotion Companies and Inconsistent TTB Enforcement, Oh My!
  59. “A Wrong Without a Remedy – Not in My America” – The TTB Death Penalty for Not Reporting Deaths
  60. Is a 1935 Alcohol Beverage Federal Trade Practice Law Stifling Innovation?
  61. Decoding the BCC’s Guidance on Commercial Cannabis Activity.
  62. Prop 65 - Escaping a "Notice of Violation"
  63. TTB Consignment Sales Investigations - What is Behind the Curtain of the TTB Press Releases?
  64. Heads Up! The ABC Is Stepping Up Enforcement Against Licensees Located Near Universities
  65. Coming Soon: New Mandatory Training Requirements for over One Million “Alcohol Servers” In California – September 1, 2021 will be here quickly
  66. 2019 Legislative Changes for California Alcohol Producers – a Blessing or a Curse?
  67. A Picture (On Instagram) Is Worth A Thousand Words
  68. Playing by the Rules: California Cannabis Final Regulations Takeaways
  69. Hinman & Carmichael LLP Names Erin Kelleher Partner and Welcomes Gillian Garrett and Tsion “Sunshine” Lencho to the Firm
  70. Congress Makes History and Changes the CBD Game for Good
  71. Pernicious Practices (stuff we see that will get folks in trouble!) Today’s Rant – Bill & Hold
  72. CBD: An Exciting New Fall Schedule… or Not?
  73. MISSISSIPPI RISING - A VICTORY FOR LEGAL RETAILER TO CONSUMER SALES, AND PASSAGE OF TITLE UNDER THE UNIFORM COMMERCIAL CODE
  74. California ABC's Cannabis Advisory - Not Just for Stoners
  75. NEW CALIFORNIA WARNINGS FOR ALCOHOLIC BEVERAGES AND CANNABIS PRODUCTS TAKE EFFECT AUGUST 30, 2018, NOW INCLUDING ADDENDUM REGARDING 2014 CONSENT AGREEMENT PARTIES AND PARTICIPANTS
  76. National Conference of State Liquor Administrators – The Alcohol Industry gathers in Hawaii to figure out how to enforce the US “Highly Archaic Regulatory Scheme.”
  77. Founder John Hinman Honored with the Raphael House Community Impact Award
  78. ROUTE TO MARKET AND MARKETING RESTRICTIONS - NAVIGATING REGULATORY SYSTEM CONSTRAINTS
  79. Alcohol and Cannabis Ventures: Top 5 Legal Considerations
  80. ATF and TTB: Is Another Divorce on the Horizon? What’s Going on with the Agency?
  81. STRIKE 3 - YOU REALLY ARE OUT! THE ABC'S STRICT APPLICATION OF PENALTIES FOR SALES TO MINORS
  82. TTB Temporarily Fixes Problem with Fulfillment Warehouse Tax Credits - an “Alternate Procedure” for Paying Taxes & Reporting
  83. CUSTOMERS WHO HAVE HAD ONE TOO MANY - THE FREE TRANSPORTATION DILEMMA
  84. The Renaissance of Federal Unfair Trade Practices - Current Issues and Strategies
  85. ‘Twas the week before New Year’s and the ABC is out in Force – Alerts for the Last Week of 2017, including the Limits on Free Rides
  86. Big Bottles, Caviar and a CA Wine Strong Silent Auction for the Holidays!
  87. The FDA and the Wine and Spirits Industry – Surprise inspections anyone?
  88. NORTHERN CALIFORNIA WILDFIRES: UPDATED REGULATORY AGENCY DISASTER RELIEF RESOURCES AT A GLANCE
  89. NORTHERN CALIFORNIA WILDFIRES: REGULATORY AGENCY DISASTER RELIEF RESOURCES AT A GLANCE
  90. Soon to come to your Local Supermarket– Instant Redeemable Coupons of the digital age!
  91. The License Piggyback Dilemma – If it Sounds Too Good to be True, it Probably is
  92. A timely message from our Florida colleagues on the tied house laws, the three-tier system and the need for reform
  93. ABC Declaratory Rulings – A Modest Proposal Whose Time has Come
  94. More on FDA Inspections - Breweries, Distilleries and Questions
  95. WHY THE FDA IS INSPECTING WINERIES
  96. Senate Bill 378—The Proposed Demise of Due Process for Alcohol Licensees
  97. ABC Enforcement - Trends and Predictions
  98. The Corruption Chronicles – Volume One: A New Hope
  99. New Alcohol Delivery Oversight on the Horizon
  100. Michigan: Canary in the DtC Coal Mine?