Haynes and Boone, LLP
  July 11, 2011 - Texas

Important Changes to HSR Act Reporting Requirements
  by Debra Gatison Hatter, Jennifer Thoman Wisinski, Rikiya Thomas

On July 7, 2011, the Federal Trade Commission (“FTC”) announced that it had finalized changes proposed in August 2010 to the Hart-Scott Rodino Antitrust Improvements Act (“HSR”) and to the Premerger Notification and Report Form (“Form”) required to be filed by companies with the FTC and Antitrust Division of the U.S. Department of Justice (collectively, the “Agencies”) in connection with certain acquisitions that meet the requisite thresholds and are not exempt. The changes to the Form and the Rules will become effective thirty (30) days after the final rules are published in the Federal Register, which we anticipate will occur shortly.

Most of the proposed rules were adopted as proposed. Set forth below is a summary of new disclosures that must be made as well as some disclosures that have been eliminated.

New Disclosure Requirements

The final rules require the following new disclosures:

Eliminated Disclosure Requirements

The final rules eliminated a number of reporting requirements. Such changes include:

These changes are part of an ongoing effort by the Agencies to review their regulations, ensure that the rules are necessary and up-to-date, and eliminate unnecessary or overly burdensome reporting requirements for businesses. The Agencies believe that such changes will make the Form easier to complete and make the premerger notification review program more effective for the Agencies.

Despite the Agencies’ efforts to streamline the premerger review process, these changes will likely present an increased burden and cost for most filing parties. In particular, such changes will significantly affect private equity funds, hedge funds, other investors who use multiple investment funds as acquisition vehicles and employ common managers for those funds, foreign companies who sell into the U.S. but manufacture outside the U.S. and conglomerate companies.

A complete copy of the changes to the HSR Act and the Form can be found here.

For more information, please contact one of the lawyers listed below.

Debra Hatter
713.547.2615

[email protected]

 

 

Jennifer Wisinski
214.651.5330
[email protected]

 

 

Rikiya Thomas
713.547.2572
[email protected]




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Read full article at: http://www.haynesboone.com/hsr_reporting_requirements/