Skip to main content
Date
Rule
7A(c)(3); 803.30
Staff
John Sipple
Response/Comments
None noted

Question

(redacted)

John M. Sipple, Esq.
Premerger Notification Office
Bureau of Competition
Federal Trade Commission
600 Pennsylvania Avenue, NW, Room 303
Washing ton, D.C. 20580

Dear Mr. Sipple:

The purpose of this letter is to confirm my understanding of our telephone conversation of December 19, 1986. In that conversation you offered an oral response to the request for Formal Interpretation pursuant to Rule 803.30 of the Premerger Notification Rules signed by (redacted) dated (redacted). I submitted the letter to you on behalf of (redacted) law firm, (redacted) during our meeting of (redacted).

First, I understand that there will be no written response to the request. Second, I understand that under the assumptions set forth in Request, the merger of corporation C into corporation B would fall within the letter of Section 7A(c)(3) of the Clayton Act, 15 U.S.C. 18A(c) (3). Third, I understand that the transfer of Bs shares to shareholders of C would be reportable because X, although the ultimate parent entity of corporation A, which holds 100 percent of Corporation B, does not hold or own Bs securities.

Finally, you did not comment specifically on the spousal attribution of X and Ys interests under Rule 801.1(c) (2) of the Premerger Notification Rules as described in Part IV of the Request. Since, however, the analysis of the merger of C into B rested in part on that attribution, I infer that you do not disagree with it.

I have communicated the foregoing to (redacted). Should you find my understanding incorrect in any respect, please advise me immediately

Sincerely,

(redacted).

cc: (redacted)

About Informal Interpretations

Informal interpretations provide guidance from previous staff interpretations on the applicability of the HSR rules to specific fact situations. You should not rely on them as a substitute for reading the Act and the Rules themselves. These materials do not, and are not intended to, constitute legal advice.

Learn more about Informal Interpretations.