Skip to main content
Date
Rule
801.1(b)
Staff
Victor Cohen
File Number
9105004
Response/Comments
None noted

Question

(redacted)

May 10,1991


Victor Cohen
Premerger Notification Office
Bureau of Competition
Federal Trade Commission
600 Pennsylvania Avenue, NW
Room 303
Washington, D.C. 20580


Dear Victor:


This is to confirm our telephone conversation yesterday that the following proposed transaction is not reportable under the Hart-Scott-Rodino Antitrust Improvement Act:


Assume that Company X and Company Y meet the size of the
parties test. Company X proposes loaning Company Y $3 million
until December 15, 1991 at a rate of prime plus 1%. Company X
has the option to loan Company Y an additional $3.5 million on
December 15, 1991. In the event that Company X exercises its
option on December 15, 1991, the combined $6.5 million loan
will be at prime plus 1% for an indefinite term. In addition to
this interest payment, Company X would be entitled to 50% of
the net profits derived from the operating cash flow of Company
Y. Company X will have the right to vote stock proxies in
certain specific circumstances, such as: (1) at the option ofCompany X to force a sale of the assets of Company y; and (2) to veto any consideration by Company Y of filing for voluntary bankruptcy. Company X will not have any rights regarding theappointment of directors in Company Y except to the extent that the removal or appointment of directors may be required to force Company Y to be sold.


As we discussed, Company X would not be considered as controlling Company Y after the t transaction occurs by virtue of the entitlement to 50% of the net profits of company Y or to the right to vote stock proxies in the limited circumstances specified. Furthermore, since the purchase of cash (such as the net profits of Company Y ) is not considered an asset, the purchase of these rights by Company X would not be a reportable event.


Please contact me immediately if I have in any way ,misunderstood your analysis of this matter. Thank you for your assistance.


Sincerely,


(redacted)


(redacted)


cc: (redacted)

About Informal Interpretations

Informal interpretations provide guidance from PNO staff on the applicability of the HSR rules to specific fact situations. They do not necessarily reflect the position of the Commission. 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.