RE:Rota lies yet again... my CGC Postquinlash wrote: Today there was a post on the Canopy Growth forum that referenced the Tyson Deal which I commented on. This is a link to my post and what I had to say about images etc on packaging.
There was no pumping etc, just voiced my opinion on the topic and noted restrictions that Canopy would have had to adhere to regarding Martha Steward etc.
https://stockhouse.com/companies/bullboard?symbol=t.weed&postid=34956759 Rota is trading both HEXO Corp and Canopy Growth through Short Positions therefore she is at risk if either shareprice increases. Be sure to research "What is stock shorting" and / or "how does a stock short position differ from a long position".
quinlash is the most lying piece of sh!t and manipulative person I ever seen on the SH forum. I would never short a stock at .26c and my broker would not allow me anyway, and he knows it, since I posted about it. Many will not bother to click on the link he provided. He wrote the following below, click the link to confirm, and I replied there would be no exception for Tyson in Canada. The giggly girls club always giggle pretending that I am a basher. No, I provide the data, numbers. I challenge quinlash to post one of my post about me bashing. You could then prove you are not a lying piece of sh!t. The two coloring text below are lies.
Confirmation at the Health Canada website here link below. He lured investor from $14.00 to the price now by his pumping and manipulation forming the giggly girls club. A group of naive people believing everything they read without questioning, unless it doesn't fit their dreaming agenda, then you are a basher or a shorter. There is no publicity for cigarettes, the same for cannabis. No exception for Tyson. Text from packaging rules at the end.
Packaging and labelling guide for cannabis products - Canada.ca Also
Promotion of cannabis: Prohibitions and permissions in the Cannabis Act and Regulations - Canada.ca Quote from quinlash;
It should be expected that HEXO Corp will forego the Tyson name and image on packaging for the sale of the Tyson product within Canada in order to stay within the current Canadian Cannabis guidelines.
6.0 General packaging and labelling requirements
The requirements of the Regulations result in plain packaging and labelling for all cannabis products. This includes restrictions on logos, colours, and branding as well as specific display formats about how product information must appear on the label (e.g., type style, size, and spacing). These measures are designed to:
Reduce the attractiveness and appeal of cannabis products, particularly to young persons
Make the standardized cannabis symbol and health warning messages more prominent and noticeable
Provide consumers with accurate information about the content and use of the cannabis product
Plain packaging and labelling applies to all surfaces, including labels and the various types and parts of the package such as containers, wrappers, and coverings (e.g., shrink wrap). Table 1 summarizes the general packaging and labelling requirements.
Table 1: General packaging and labelling requirements
Cannabis Regulations reference Requirement Notes
113
120
123.1(1)(c)
Single uniform colourFootnote1
No fluorescent colours for containers or wrappers, or metallic colours on containers
Colour of containers must create a contrast with yellow colour of the health warning message and the red colour of the standardized cannabis symbol
Coverings of containers must be transparent and colourless
Colour may be different for each surface (e.g., exterior, interior) and panel. The exterior of any container and the interior surface of immediate containers may be a metallic colour if that surface is made of metal, excluding the label or image.
115
123.1(1)(e)
Smooth textureFootnote1
No raised features for containers and coverings
No embossing or decorative ridges for wrappers
No other irregularities (e.g., engravings, etchings) for containers and coverings
Does not apply to features necessary to facilitate opening and closing of the container and those to assist persons who are visually impaired.
116(1)
123.1(1)(f)
No hidden features including
Heat-activated ink
Feature that is visible only through technological means unless, in the case of containers or coverings, it is used to prevent counterfeiting
116(2)
No features that can change surface area including
Tags
Fold-out panels except in the case of a peel-back or accordion panel for a small immediate container. See section 8.3 of this guide.
Does not apply to wrappers.
117
123.1(1)(g)
Not emit scent or sound
121
No cut-out windows
Does not apply to coverings or wrappers.
111
118
123.1(1)(a)
No brand element
Subject to specific provisions of the Regulations. See sections 8.1.4 and 8.1.5 of this guide.
112
119
122
123.1(1)(b)
123.1(2)
No image and/or informationFootnote1
No image on any container (interior or exterior surface and panel) in which a cannabis product is packaged
No image or information on the covering
No image or information on a wrapper
A container may display a bar code but it must only appear once. It must be in a rectangle that is black and white without any other images or designs. A wrapper must display the standardized cannabis symbol. See section 8.1.1 of this guide for more information about the symbol.
18
107
132
No inserts or leafletsFootnote1
Cannabis products may be accompanied by the document entitled Consumer Information - Cannabis. There is an exception that allows additional information to be included with any shipment, including shipments sent to registered patients.
Table Footnote 1
Unless provided under the Cannabis Act, any other Act of Parliament, or any provincial Act.
Return to footnote1referrer
Tip: Colours that have the lustre of metal or metallic properties include Pantone Metallics or Pantone Premium Metallics. Fluorescent properties include pigments that absorb ultraviolet energy and transmit it as a longer wavelength, such as the Pantone 800 series.