Judges: BILL LOCKYER, Attorney General
Filed Date: 10/23/2000
Status: Precedential
Modified Date: 7/5/2016
BILL LOCKYER Attorney General GREGORY L. GONOT Deputy Attorney General
THE HONORABLE GARY T. YANCEY, DISTRICT ATTORNEY, COUNTY OF CONTRA COSTA, has requested an opinion on the following question:
May a gift certificate for a meal sold by a restaurant contain an expiration date?
"(a) On or after January 1, 1997, it is unlawful for any person or entity to sell a gift certificate to a purchaser containing an expiration date. Any gift certificate sold after that date shall be redeemable in cash for its cash value, or subject to replacement with a new gift certificate at no cost to the purchaser or holder.
"(b) A gift certificate sold without an expiration date is valid until redeemed or replaced.
"(c) This section shall not apply to any of the following gift certificates issued on or after January 1, 1998, provided the expiration date appears in capital letters in at least 10-point font on the front of the gift certificate:
"(1) Gift certificates that are distributed by the issuer to a consumer pursuant to an awards, loyalty, or promotional program without any money or other thing of value given in exchange for the gift certificate by the consumer.
"(2) Gift certificates that are sold below face value at a volume discount to employers or to nonprofit and charitable organizations for fund-raising purposes if the expiration date on those gift certificates is not more than 30 days after the date of sale.
"(3) Gift certificates that are issued for a food product."
The question presented for analysis concerns the "food product" exemption of section
In determining the scope of the "food product" exemption of section
Applying these principles of statutory construction, we find that section
Nothing in the committee reports dealing with the proposed "food product" amendment of 1997 suggests that restaurants selling gift certificates were no longer to be subject to the prohibition against certificates containing expiration dates. Specifically, the committee reports refer to supermarket grocery items as constituting the kind of "food product" no longer intended to be subject to the prohibition. For example, the floor analysis prepared for the Senate Rules Committee, Third Reading, August 25, 1997, contains the following statement:
"The author states that retailers need to be able to put an expiration date on gift certificates for food products in order to close the books on specific transactions, for instance, when an employer buys holiday turkey gift certificates for employees. Typically, the employer deposits a portion of the total potential cost with the retailer, then settles up after the holiday period."
We recognize that a breakfast, lunch, or dinner served at a restaurant involves some aspect of "food" service. However, a restaurant meal does not connote a "food product" in the same sense as a grocery item at a supermarket. Given the complete absence of any suggestion in the statute's legislative history that a restaurant meal is to be considered a "food product," as well as the directive to construe narrowly all statutory exemptions, the language of subdivision (c)(3) cannot reasonably be extended to restaurant meals.2
Accordingly, we conclude that a gift certificate for a meal sold by a restaurant may not contain an expiration date.