FTC Announces Annual Revision to HSR Jurisdictional Thresholds
The Federal Trade Commission (FTC) announced on January 19, 2017 increased jurisdictional thresholds for premerger notification filings under the Hart-Scott-Rodino Antitrust Improvements Act of 1976, as amended (the HSR Act). The FTC revises the thresholds annually based on changes in the gross national product. The new thresholds will be effective February 27, 2017 and will apply to all transactions closing on or after that date.
Revised HSR Thresholds
A transaction is reportable if:
Size of Transaction Threshold |
The acquiring person will hold, as a result of the transaction, an aggregate total amount of voting securities and assets of the acquired person valued in excess of |
Size of Person Threshold |
Either the acquiring or the acquired person has at least $16.2 million in total assets or annual net sales, and the other person has at least $161.5 million in total assets or annual net sales. |
The HSR Act requires parties engaged in certain transactions (including mergers, joint ventures, exclusive licensing deals, and acquisition of voting securities, assets or noncorporate interests) to file a notification and report
form with the FTC and the Ant
itrust Division of the Department of Justice (DOJ), and to observe the statutorily prescribed waiting period (usually 30 days, or 15 days in the case of cash tender offers and bankruptcy) prior to closing, if the parties meet the Size of Transaction and Size of Person thresholds (absent any applicable exemptions).
Filing Fees
Filing fees for the premerger notification remain unchanged, but the FTC has revised the thresholds used to determine applicable fees. Under the revised thresholds, the filing fees are as follows:
Filing Fee |
New Filing Fee Thresholds |
$45,000 |
For acquisitions valued at $80.8 million or more up to $161.5 million. |
$125,000 |
For acquisitions valued at $161.5 million or more up to $807.5 million. |
$280,000 |
For acquisitions valued at $807.5 million or more. |
Feel free to contact any of the attorneys listed above for further information on this or any HSR-related question. We would be pleased to assist you with any concerns you may have.