Vending Machine OTP FAQ

Vending Machine OTP FAQs

Why is the licensing issue particularly important for tobacco products?

The sale and distribution of tobacco products are highly regulated activities. Because of this regulatory framework, a business may not engage in an activity within the tobacco industry that the Nevada Legislature has prohibited.

Can a business engage in a tobacco-related activity simply because the Legislature has not prohibited it?

No. In Nevada, a business may not engage in an activity within the tobacco industry unless the Legislature has specifically authorized that activity. The absence of a prohibition does not, by itself, create authorization to conduct the activity.

Has the Nevada Legislature specifically authorized an OTP vending machine license?

At this time, the Nevada Legislature has not explicitly provided for an OTP vending machine license.

May a business operate an OTP vending machine under the current Nevada licensing framework?

Based on the current statutory framework, operation of an OTP vending machine is not permissible under Nevada law when the activity is not specifically authorized by the Legislature.

Does obtaining a cigarette vending machine license authorize the sale of OTP through a vending machine?

No. A cigarette vending machine license does not authorize an activity that the Legislature has not specifically authorized. The type of tobacco product being sold and the method of sale must fall within an activity permitted under Nevada law.

What is the basis for determining that an OTP vending machine operation is not permissible?

The determination is based on the absence of specific legislative authorization for an OTP vending machine license and the principle that businesses operating in Nevada’s highly regulated tobacco industry must have statutory authority to conduct the particular activity.

What would be required for an OTP vending machine operation to become permissible?

The Nevada Legislature would need to specifically authorize the activity and establish an applicable licensing framework, if appropriate. Until such authorization exists, an OTP vending machine operation may not be conducted based solely on an existing cigarette vending machine license.

Does this determination apply to all possible methods of selling OTP?

No. This determination concerns the specific method of selling OTP through a vending machine. Other methods of selling tobacco products may be subject to different statutory and licensing requirements.

What is the conclusion regarding OTP vending machine sales?

A cigarette vending machine license is not the proper licensure for the sale of OTP through a vending machine. Because Nevada law does not currently provide explicit legislative authorization for an OTP vending machine license, operation of an OTP vending machine is not permissible under Nevada law.

Note: FAQs are for general guidance only. For written advice as it relates to your business, request an advisory opinion from the Department.

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