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Re:Police issue guidelines how to hassle headshops (1 viewing) (1) Guests
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TOPIC: Re:Police issue guidelines how to hassle headshops
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Police issue guidelines how to hassle headshops 1 Year, 5 Months ago
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Karma: 10  
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Today the NPIA released a report on what laws and tactics can be used to 'tackle' headshops. Despite the fact these businesses are perfectly legal and have been operating since the 60s, it seems they are too much for Labour who want to destroy them. Nice to know when there is crack cocaine and heroin being sold on the streets of our towns and cities the police have got their priorities right, leaving us to ask the question ... what fucking planet are they on? Section 3
HEAD SHOPS
This section contains tactics and options for dealing with head shops and shops supplying cannabis cultivating equipment. The most effective methods of disrupting head shops are, usually, through the powers of agencies other than the police. A partnership approach should, therefore, be taken to tackle this problem. The termofficer is used in this section to refer to officers of all partner agencies, as well as to the police.
CONTENTS 3.1 Head Shops and Shops Supplying Cannabis Cultivating Equipment . . . . . . . . . 28 3.1.1 Online Head Shops and Wholesalers of Cannabis Cultivating Equipment . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 28 3.2 Prosecuting Head Shops . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 29 3.2.1 Test Purchase and Observation . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 30 3.2.2 Medicines and Healthcare products Regulatory Agency . . . . . . . . . . . . . 30 3.2.3 Evidential Considerations . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 31 3.2.4 Crown Prosecution Service . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 31 3.2.5 Expert Witnesses . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 31 3.2.6 Planning Checklist . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 31 3.3 Disrupting Head Shops and Shops Supplying Cannabis Cultivating Equipment . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 32
28 HEAD SHOPS AND SHOPS SUPPLYING CANNABISCULTIVATING EQUIPMENT The term head shop refers to shops, market stalls and internet traders which sell paraphernalia and equipment for using drugs (principally cannabis and cocaine), and legal alternatives to illegal drugs. Merseyside Police have developed a policy bye-law with respect to drugs paraphernalia. It states that paraphernalia includes any item, whether useful for non drug related purposes or not, which is displayed, grouped with other items, advertised, or promoted in a manner to reasonably suggest its usefulness in the growing, harvesting, processing, manufacture, preserving, inhaling, injecting, or ingesting of cannabis. Head shops cause public concern for a number of reasons, for example, they: Display drug-taking equipment in windows; Suggest that drug taking is acceptable, or glamorise drug use; Sell paraphernalia for the use of drugs (principally cannabis and cocaine); Sell merchandise with drug references or drug-related designs; Sell items for growing cannabis, and books on how to grow cannabis; May be _link_ed to other criminal activity. Shops selling cannabis cultivating equipment, typically, also sell cannabis seeds and books on how to grow cannabis. Some shops sell the equipment both for using and for growing cannabis. Officers should be aware that head shops sell drugs as legal alternatives to illegal drugs. These legal drugs may be illegal if sold without a pre_script_ion, or if they are sold for a purpose other than their prescribed purpose. For example, certain drugs are legal for use on animals but not for use on humans. The sale of cannabis seeds is not illegal; cannabis seeds are specifically exempt from the provisions of the Misuse of Drugs Act 1971, because they do not contain THC and have a number of legitimate industrial uses such as the production of hemp.
3.1.1 ONLINE HEAD SHOPS ANDWHOLESALERS OF CANNABIS CULTIVATING EQUIPMENT
Some of the tactics described in 3.2 Prosecuting Head Shops to 3.2.6 Planning Checklist will be applicable to online traders and wholesalers. For example, the de_script_ions of products on the website, packaging and instructions on the products should be looked at for references to drugs. _link_s to other websites, for example, discussion forums on growing cannabis, may provide evidence of the purpose for which the products are sold. The investigation of online traders is the responsibility of the force in whose area the business premises are. Wholesale suppliers of equipment for using or cultivating cannabis may purport to be legitimate businesses. A proactive intelligence-led operation may reveal an organised criminal infrastructure. Tackling a wholesale supplier will affect the business of the head shops being supplied. When prosecuting a wholesale supplier, officers should seek to prove the knowledge and intent of the supplier, for example, when the seeds were sold along with the equipment necessary to grow them. RESTRICTED RESTRICTED Practice Advice on Tackling Commercial Cannabis Cultivation and Head Shops © ACPO NPIA 2009 29
HEAD SHOPS 3.2 PROSECUTING HEAD SHOPS The owners of head shops and shops selling cannabis cultivating equipment will claimthat the equipment they sell can be used for legitimate purposes. Officers should consider which merchandise has no purpose other than for using drugs or growing cannabis. Officers should be familiar with names of drugs and drug references. Products may be sold by head shops for a purportedly legal purpose, but the name of the product or terminology and pictures used on the packaging or instructions may reveal the actual purpose of the equipment. Officers should carefully examine products as references to drugs may only appear on instructions contained within the packaging.
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Books Does the shop sell books on any subject other than growing cannabis?
Seeds, seed catalogues Does the shop only sell cannabis seeds, or seeds to grow other plants too?
Legal herbs Are they really legal? Consult the Medicines and Healthcare products Regulatory Agency (MHRA).
Posters and advertising Posters or advertising for groups campaigning for the legalisation of cannabis, or other shops and merchandise which would appeal to cannabis users or growers.
Growing equipment Does the packaging or instructions make reference to growing cannabis?
Bubble bags, bubble sacs, bubbleators Equipment for producing cannabis resin Equipment for the production of highgrade (high THC content) cannabis resin has no legitimate use. For an explanation of THC, see 2.4 Cultivation of Cannabis. Does the packaging make reference to the production of cannabis resin?
Fertiliser Does the packaging or instructions make reference to growing cannabis?
Paraphernalia for using drugs Do the items bear references to drugs, for example, cannabis leaf designs?
Equipment to conceal the smell, noise or heat produced by a cannabis farm. Officers should consider what legitimate use these products could have, and be able to argue that they have no other use.
Advertising in trade magazines Shops may be advertised in trade magazines such as Red Eye Express, Weed World and Soft Secrets. These magazines are solely for and about cannabis growing. Table 2 Considerations regarding items in head shops
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3.2.1 TEST PURCHASE AND OBSERVATION A test purchase can be an effective way of gathering evidence of the true nature of a business, and should be considered as a tactical option within the operational strategy. This tactic should, however, only be used by trained officers, in accordance with ACPO(forthcoming)Guidance on theUse andManagement ofUndercover Techniques. Officers should seek advice from their force covert adviser when planning the operation, to ensure that appropriate considerations are addressed. Covert observations of premises may be considered appropriate in order to establish patterns of behaviour and the movement of vehicles. Unless such observations are considered likely to interfere with a persons ECHR Article 8 rights to respect for private and family life, it is unlikely that RIPA authorisation will be necessary.
3.2.2 MEDICINES AND HEALTHCARE PRODUCTS REGULATORY AGENCY The Medicines and Healthcare products Regulatory Agency (MHRA) is the government agency responsible for ensuring that medicines and medical devices work and are acceptably safe. Part of their role is to offer scientific, technical and regulatory advice on medicines and medical equipment. The MHRA also controls those substances that are not controlled under the Misuse of Drugs Act 1971. The MHRA should be consulted in an investigation into head shops. They can provide information and advice on substances that the police may have little experience of, for example, determining whether drugs advertised and sold as legal are, in fact, legal. Many police forces have a single point of contact (SPOC) arranged with the MHRA. Benzylpiperazine (BZP) is a synthetic drug which produces similar effects to amphetamine. It is controlled under the Medicines Act 1968 as a pre_script_ion-only drug, and, therefore, it is illegal to sell it in the UK. Head shopsmay advertise legal drugs as BZP free; theMHRA can test the drugs to determine whether they do contain BZP. Note: The control of BZP under the Misuse of Drugs Act 1971 is pending (following a decision by the European Council in March 2007). The MHRAs Intelligence Unit Case Referral Centre is the central point of contact for all MHRA enforcement-related enquiries. Email:
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Telephone: 020 7084 2330 Further information can be found on the MHRA website http://www.mhra.gov.uk RESTRICTED RESTRICTED Practice Advice on Tackling Commercial Cannabis Cultivation and Head Shops © ACPO NPIA 2009 31 HEAD SHOPS 3.2.3 EVIDENTIAL CONSIDERATIONS A prosecution could consist of the following: Evidence from officers who made a test purchase; Evidence of visits to the shop by persons arrested for growing or producing cannabis; Witness statements from customers who have been arrested for growing cannabis; Items seized from the shop, for example, posters, books, seeds; Items seized fromthe shop that have no use other than for the production of cannabis resin; The sale of anti-detection devices, such as tin/aluminium foil; Evidence of advertising in magazines solely dedicated to cannabis growing; Business records. All items in the shop should be photographed. Before seizing items from the shop, officers should consider which items will be needed as evidence, and whether any stock can be left in the shop. The costs involved in storing seized stockmay be a consideration in this. Partner agencies and public bodies have a moral and legal obligation to prevent the shop from continuing its business while the prosecution is ongoing. Stock contained in the shop may represent the assets of previous criminal activity. Leaving stock in the shop can allow it to be moved and used elsewhere and for criminal activity to be continued at another venue. The acquisition,movement and use of criminally obtained stock can provide an opportunity for charging with money laundering offences.
3.2.4 CROWN PROSECUTION SERVICE The Crown Prosecution Service (CPS) should be involved in the planning of an operation to prosecute a head shop. The CPS can provide advice regarding the charges which are applicable, the strategy to use for gathering evidence and the forensic strategy which will best support the charge. The strategy agreed with the CPS should not exclude further lines of investigation, such as evidence that may be found in searches or obtained from customers. Early consultation with the CPS to assist with case building is strongly advised.
3.2.5 EXPERT WITNESSES Consideration should be given to who could provide evidence to show that the equipment sold by head shops is for using or cultivating drugs. For example, horticultural or agricultural colleges can be asked if they have ever used the products sold, or seen instructions similar to those accompanying the products.
3.2.6 PLANNING CHECKLIST The following list should be considered when planning an operation against a head shop: Health and safety of police officers and staff involved. Forensic strategy. Evidence gathering strategy what to seize? Have the CPS been involved? What is the charge? Have the MHRA been involved?
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Practice Advice on Tackling Commercial Cannabis Cultivation and Head Shops © ACPO NPIA 2009
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Are the shop owners or staff involved in the cultivation of cannabis, or only in the sale of equipment? What will be done with the stock seized from the shop, and where will it be stored? Consider storage costs. Is it necessary to seize all the stock? Is there any financial intelligence to suggest that the financial activity is suspicious? This could include other offences such as mortgage fraud or money laundering. 3.3 DISRUPTING HEAD SHOPS AND SHOPS SUPPLYING CANNABIS CULTIVATING EQUIPMENT Where it is not possible to close down a head shop, officers should consider how they can encourage a more responsible and low profile approach, for example, by taking steps to prevent them displaying items used for drug taking in the window. Usually the most effective methods of disrupting head shops is through the powers of agencies other than the police. A partnership working approach should be adopted, and all relevant powers of partner agencies explored. The following examples may be used by the police in partnership with other agencies. Local authority: Planning laws restricting what shops can have in their window display. Restrictions on the names of shops and shop signs containing drug references. Licensing restrictions on shops and market stalls. An Anti-Social Behaviour Order (ASBO) may be considered if the shop is causing a nuisance, or attracting groups of people who cause a nuisance in the area. A Serious Crime Prevention Order (SCPO) against those involved in serious crime may be considered under the Serious Crime Act 2007, to prevent, restrict or disrupt the criminal activity. Trading standards: If the shop is selling food and/or drink products, food safety and hygiene standards apply. Checking whether tobacco products have been sold to people under 18 years of age. Fire and Rescue Service: Does the shop have potentially hazardous or flammable materials and substances in the window (for example, amyl nitrate)? If the shop is selling gas cylinders, are they stored correctly? The powers of all law enforcement agencies should be considered, such as HMRC and the UK Border Agency (UKBA), in relation to customs and immigration offences.
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RESTRICTED Practice Advice on Tackling Commercial Cannabis Cultivation and Head Shops © ACPO NPIA 2009
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The truth will set you free
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Re:Police issue guidelines how to hassle headshops 1 Year, 4 Months ago
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Karma: 7  
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interesting reading, when does this bit of useful legislation come into practise?
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Re:Police issue guidelines how to hassle headshops 1 Year, 4 Months ago
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Karma: 2  
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Posters and advertising Posters or advertising for groups campaigning for the legalisation of cannabis, or other shops and merchandise which would appeal to cannabis users or growers.
Fuck me. Talk about fascism, we're not even allowed a poster up expressing our perfectly valid and well reasoned point of view.
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Earn money from your Salvia Divinorum experiences @ Salvia Trip! I also have a Blog. :o
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Re:Police issue guidelines how to hassle headshops 1 Year, 4 Months ago
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Karma: 10  
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Labour's Orwellian police state they are transforming Britain into is getting worse and worse. I only hope they haven't completed the project by the time they get kicked out next year and there is the political will to reverse it to give us back our age old freedoms.
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The truth will set you free
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UK: Swansea Crown Court Hears How Pembroke Dock Cannabis
Western Telegraph, 12 Jul 2010 - A Pembroke Dock man who has campaigned for the legalisation of cannabis for medical purposes for the last 15 years has turned over a new leaf, a judge heard on Friday. Eric Mann, a retired oil refinery supervisor, served two prison sentences while taking on the government in a bid for those suffering chronic pain to be allowed to take cannabis for pain relief.
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